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2015 (2) TMI 1228 - HC - Income Tax


Issues:
1. Disallowance of 2% of expenditure under Section 14A of the Income Tax Act for earning dividend income.
2. Interpretation of Section 14A regarding the disallowance of actual expenditure incurred in relation to income not forming part of total income.

Analysis:
1. The appellant challenged the Income Tax Appellate Tribunal's order regarding the estimated disallowance of 2% of expenditure as incidental to earning dividend income under Section 14A of the Act. The main contention was that no actual expenditure was incurred. The court noted that a Division Bench had previously addressed similar questions in the case of EID Parry. The court referred to the decision in EID Parry where it was held that the estimate of expenses at 2% deemed to have been incurred in respect of dividend income, even when no such expenses were actually incurred, was justified. The court further mentioned that the addition of estimated expenses at the rate of 2% on dividend income for computing book profits, without actual expenses being incurred, was also upheld. Consequently, based on the precedent set by the EID Parry case, the court dismissed the appellant's appeal and ruled in favor of the Revenue.

2. The court also considered the interpretation of Section 14A of the Act, emphasizing that only actual expenditure incurred in relation to income not forming part of the total income should be disallowed. It was highlighted that a previous decision in the case of Tube Investments of India Ltd had addressed identical questions of law and ruled against the assessee. Citing these precedents, the court dismissed the appeals, answering the questions of law against the assessee and in favor of the Revenue. The judgment emphasized that the decisions in similar cases had established a consistent legal position regarding the disallowance of estimated expenses under Section 14A of the Income Tax Act. The court concluded the judgment by dismissing the appeals and ruling that no costs were to be incurred.

 

 

 

 

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