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Issues involved: Disallowance of interest on interest-free advances.
Summary: The appeal was filed against the order of the Ld. CIT(A) upholding the disallowance of interest amounting to Rs. 211,512. The assessee, engaged in the business of manufacturing cotton polyester made-ups, had given interest-free advances to certain concerns. The AO disallowed the interest as no interest was charged from the parties, citing a decision of the Hon'ble Punjab and Haryana High Court. The CIT(A) affirmed the disallowance, stating that the advances were not for business purposes, referring to relevant court decisions. The assessee contended that the advances were trade advances and no disallowance of interest was warranted. The counsel referred to various court decisions to support the claim that the parties were not related to the assessee. However, the DR argued that the parties were related, and interest-free advances were given despite incurring interest on funds obtained. The Tribunal noted that the assessee failed to provide evidence that the advances were trade advances, especially when interest-bearing funds were obtained. The Tribunal found that the assessee did not substantiate that the advances were for business purposes or commercial expediency. Without evidence supporting the purpose of the advances, and with the advances remaining outstanding for a significant period, the disallowance of interest was deemed justified. The Tribunal held that the case laws cited by the assessee were not applicable to the facts of the case, as they did not establish a valid reason for the interest-free advances. Consequently, the appeal was dismissed, upholding the order of the CIT(A).
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