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Issues involved: Interpretation of set off of deficiency under section 80J(3) of the Income-tax Act, 1961, in relation to set off of business loss carried forward from earlier years.
Summary: The High Court of Madras considered a case where the assessee, a company, contended that set off of deficiency under section 80J(3) should be made before any set off of the business loss carried forward from the assessment year 1968-69. The Income-tax Officer and the Appellate Assistant Commissioner had set off the business loss before allowing the deficiency under section 80J(3). The Appellate Tribunal, relying on precedent, held that the set off of deficiency under section 80J(3) should precede the set off of business loss carried forward from earlier years. The Department challenged this decision, leading to the reference of the question to the High Court. The High Court analyzed various legal precedents and held that the set off of deficiency under section 80J(3) should not precede the set off of business loss carried forward from earlier years. Citing decisions related to sections 32, 80B, 80-I, and others, the court emphasized that certain deductions and adjustments must be made before allowing the relief under section 80J. Therefore, the Tribunal's decision was deemed erroneous, and the court ruled in favor of the Department, denying the assessee's claim for setting off deficiency under section 80J(3) before business loss carried forward. In conclusion, the High Court answered the question in the negative, supporting the Department's position. No costs were awarded, and the counsel's fee was fixed at Rs. 1,000.
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