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Issues Involved:
The judgment pertains to the interpretation of deduction under section 80M of the Income-tax Act, 1961, specifically regarding the treatment of expenses incurred in earning dividend income. Assessment Years 1982-83 and 1983-84: The assessee disclosed dividend income for the two years under reference, and the Income-tax Officer computed proportionate expenses for earning such dividend and deducted these amounts from the gross dividend to arrive at the net income from dividend for each year. Commissioner of Income-tax (Appeals) Decision: The Commissioner observed that no fresh investment was made in shares during the assessment years, and expenses other than those admitted by the assessee should not be deducted to compute relief under section 80M. The Commissioner decided in favor of the assessee. Tribunal's Decision: The Tribunal held that deduction under section 80M should be allowed on the gross dividend without deducting the allocation of expenses incurred in earning the dividend income, dismissing the appeals by the Department. Question of Law Referred to High Court: The High Court was asked to determine whether deduction under section 80M should be allowed on the gross dividend without deducting the allocation of expenses incurred in earning such dividend income, based on the Tribunal's observation. High Court's Analysis and Decision: The High Court found the Tribunal's approach erroneous, stating that relief under section 80M should be based on the net dividend after accounting for any expenditure incurred in earning the dividend. The Court emphasized that only actual expenses should be considered, rejecting the notion of estimating or allocating notional expenditure. The Court declined to answer the question directly, directing the Tribunal to determine the actual expenditure incurred by the assessee for earning the dividend income and adjust the relief under section 80M accordingly. Conclusion: The High Court emphasized the importance of considering actual expenses incurred in earning dividend income for the purpose of calculating relief under section 80M, rejecting the notion of estimating or allocating notional expenditure. The Court directed the Tribunal to adjust the relief based on the actual expenditure incurred by the assessee.
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