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2013 (11) TMI 1717 - AT - Income Tax

Issues involved: Appeal and Cross Objection filed against Commissioner of Income Tax (Appeals) order for assessment year 2007-08.

Disallowance under section 14A:
- Revenue aggrieved by restriction of disallowance under section 14A to a lesser amount.
- Assessee also aggrieved by scaled down disallowance.
- Argument over applicability of Rule 8D for disallowance.
- Tribunal held Rule 8D not applicable for assessment year 2007-08.
- Disallowance under section 14A upheld based on facts and circumstances, restricting it to 1% of exempt income.

Addition to book profit under section 115JB:
- Revenue challenged deletion of addition to book profit.
- Tribunal held section 14A not applicable while computing book profit under Chapter XIV-B, following precedent.

Notional interest on sticky loans:
- Revenue disputed deletion of notional interest on sticky loans.
- Tribunal upheld deletion based on earlier orders and lack of accounting for interest on sticky loans.

Interest income on investment from foreign funds:
- Revenue contested deletion of addition for interest income on investment.
- Tribunal clarified no such addition made by Assessing Officer, upheld deletion based on jurisdictional High Court decision.

Disallowance of depreciation on plant & machinery:
- Revenue objected to deletion of disallowance on depreciation claimed on plant & machinery.
- Tribunal referred to precedent and dismissed the ground in favor of the assessee.

General Ground:
- No specific adjudication needed.
- Appeal by Revenue and Cross Objection by assessee dismissed.

This judgment by the Appellate Tribunal ITAT Kolkata addressed various issues including disallowance under section 14A, addition to book profit under section 115JB, notional interest on sticky loans, interest income on investment, and disallowance of depreciation on plant & machinery. The Tribunal considered legal precedents and relevant provisions to make decisions on each issue, ultimately dismissing the appeal and cross objection.

 

 

 

 

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