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1991 (12) TMI 21 - HC - Income Tax

Issues:
1. Capital vs. Revenue Expenditure - Pilot Project
2. Capital vs. Revenue Expenditure - Research Expenditure on Phosphorous Project
3. Taxable Income - Refund of Excess Electricity Duty
4. Disallowance of Extra Shift Allowance
5. Disallowance of Expenses for Tuticorin Project
6. Capitalization of Expenses for Depreciation
7. Assessment of Receipt under Section 41(1) of Income-tax Act
8. Claim Covered by Circular and Instruction issued by Central Board of Direct Taxes

Capital vs. Revenue Expenditure - Pilot Project:
The High Court analyzed whether the expenditure of Rs. 13,036 on a pilot project for phosphorus manufacturing should be considered capital or revenue expenditure. The Tribunal concluded it was capital expenditure. The court noted the assessee's argument under section 35 for scientific research benefits, which the Tribunal did not address. The court directed the Tribunal to consider if the claim qualifies under section 35.

Capital vs. Revenue Expenditure - Research Expenditure on Phosphorous Project:
Similar to the pilot project, the court examined the Rs. 4,048 research expenditure on the phosphorous project. The Tribunal categorized it as capital expenditure. The court highlighted the need for the Tribunal to assess if the claim is eligible under section 35 for scientific research benefits.

Taxable Income - Refund of Excess Electricity Duty:
Regarding the refund of Rs. 5,58,597 for excess electricity duty, the court discussed the timing of accrual as income. The court stated the need for proper assessment under section 41(1) instead of treating it as a trading receipt, emphasizing a fresh review of the issue.

Disallowance of Extra Shift Allowance:
The court addressed the disallowance of Rs. 2,18,476 for extra shift allowance due to limited operational days of the Barium Carbonate Unit. The decision was upheld as factual and not perverse, hence favoring the Revenue.

Disallowance of Expenses for Tuticorin Project:
The court examined the disallowance of Rs. 31,681 expenses related to the Tuticorin Project, treated as a separate business for section 80J relief in subsequent years. The court upheld the disallowance as factual, not warranting further consideration.

Capitalization of Expenses for Depreciation:
The court evaluated the Tribunal's decision on capitalizing expenses for depreciation along with fixed assets. As the decision was based on factual findings, the court deemed it non-perverse, favoring the Revenue.

Assessment of Receipt under Section 41(1) of Income-tax Act:
The court discussed the assessment of a specific receipt under section 41(1) and the need for a proper review considering the impact of the section, declining to answer the question for further reconsideration.

Claim Covered by Circular and Instruction issued by Central Board of Direct Taxes:
The court considered the claim under Circular No. 10/83/69 and Instruction No. 1605 issued by the Central Board of Direct Taxes. It highlighted the need for the Tribunal to assess the claim in light of these directives, declining to answer the question for a fresh review.

In conclusion, the High Court directed the Tribunal to reassess various issues related to expenditure categorization, income assessment, and compliance with tax directives, emphasizing the need for a thorough reconsideration based on legal provisions and factual findings.

 

 

 

 

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