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Issues involved:
1. Interpretation of 'actual cost' of an asset u/s 43(1) of the Income-tax Act, 1961 for assets acquired prior to 1962. 2. Allowance of additional grounds in appeals regarding deductibility of sums transferred to reserves. Issue 1 - Interpretation of 'actual cost' of an asset: The High Court held that the method of determining the 'actual cost' of an asset as per section 43(1) of the Income-tax Act, 1961, applied to assets acquired before the accounting period relevant to the assessment year 1962-63. This decision was based on previous rulings related to the same assessee and was answered in favor of the Revenue. Issue 2 - Allowance of additional grounds in appeals: The assessee, a company engaged in electricity generation, sought to raise new grounds in its appeals and cross-objections related to the deductibility of sums transferred to reserves. The Tribunal had refused to allow these new grounds based on certain reasons provided in its order. The new claim was based on a previous court decision that such amounts were allowable deductions on revenue account. The High Court noted a conflict between different views taken by the court in various cases regarding the Tribunal's power to entertain additional grounds raised for the first time. It referenced cases like Ugar Sugar Works Ltd. v. CIT and CED v. Bipinchandra N. Patel to highlight differing opinions on this matter. The Court concluded that there was a need for a larger Bench to resolve the controversy regarding the Tribunal's jurisdiction in allowing new grounds in appeals. In light of the conflicting views and lack of resolution by a higher authority, the High Court directed the matter to be placed before the Hon'ble Chief Justice for the constitution of a larger Bench to address the issue of allowing additional grounds in appeals.
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