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1991 (1) TMI 66 - HC - Income Tax

Issues:
- Entitlement to deduction of provision for payment of purchase tax for the assessment year 1981-82.

Analysis:
The judgment dealt with the issue of whether the assessee was entitled to a deduction for the provision made towards purchase tax liability for the assessment year 1981-82. The assessee had claimed a provision of Rs. 3,21,256 towards purchase tax liability, which was initially allowed by the Income-tax Officer. However, in a revisional order under section 263 of the Income-tax Act, the Commissioner of Income-tax found that no liability for purchase tax arose as per the final assessment order for the year. The Commissioner directed the Income-tax Officer to add back the provision to the income assessed. The Income-tax Appellate Tribunal, on the other hand, held that the liability to pay purchase tax existed during the relevant accounting year and was only wiped out by the final assessment order. The Tribunal found the direction by the Commissioner to add back the provision to be erroneous and allowed the appeal filed by the assessee.

The High Court analyzed the timeline of events and accounting periods involved. It noted that the liability to pay purchase tax arose in the previous assessment year 1980-81, which ended on December 31, 1979, and not in the assessment year 1981-82. The Court observed that both the Commissioner of Income-tax and the Income-tax Appellate Tribunal had proceeded on the assumption that the liability related to the assessment year 1981-82, which was incorrect based on the assessment order dated September 13, 1984. The Court emphasized that the crucial aspect was whether the liability accrued within the relevant accounting period for the assessment year in question. The Court found that the relevant assessment order sent to the court did not support the claim that the liability was within the period of the assessment year 1981-82.

Due to the misinterpretation of the accounting periods and the failure to consider the correct timeline of events, the High Court declined to answer the question of law referred by the Appellate Tribunal. The Court directed the Income-tax Appellate Tribunal to reconsider the appeal filed by the assessee for the assessment year 1981-82 based on the relevant records and facts. The Court highlighted that the question of deduction could only be properly adjudicated when considering the correct and essential facts related to the liability for purchase tax. The judgment concluded by disposing of the reference and instructing the Tribunal to review the matter afresh.

 

 

 

 

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