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1989 (12) TMI 35 - HC - Income Tax

Issues:
Interpretation of section 36(1)(ii) of the Income-tax Act regarding the disallowance of excess bonus payment under the Payment of Bonus Act.

Analysis:
The High Court of Kerala addressed the issue of whether an excess bonus payment of Rs. 1,22,995 could be disallowed under section 36(1)(ii) of the Income-tax Act, based on the provisions of the Payment of Bonus Act. The Commissioner of Income-tax revised the assessment order, contending that the bonus payment exceeded the amount stipulated under the Payment of Bonus Act and should be disallowed. The Commissioner relied on the first proviso to section 36(1)(ii) of the Act. However, the Tribunal disagreed with the Commissioner's interpretation, citing the Supreme Court decisions in Mumbai Kamgar Sabha v. Abdulbhai Faizullabhai and Hukumchand jute Mills Ltd. v. Second Industrial Tribunal. The Tribunal held that contractual bonus falls outside the scope of the Payment of Bonus Act, thus the limits prescribed under the Act do not apply.

The Court examined the relevant provisions of the Income-tax Act, particularly section 36(1)(ii), which governs deductions for bonus payments to employees. The Court referenced the Supreme Court decisions to emphasize that the Payment of Bonus Act deals with profit bonus and matters connected therewith, distinguishing it from customary or contractual bonus. The Court clarified that even if the first proviso to section 36(1)(ii) does not apply, the second proviso should be considered. The assessing authority must adhere to the guidelines outlined in clauses (a) to (c) of the second proviso while evaluating bonus payments.

The Court found that the Tribunal did not consider the statutory guidelines adequately, as explained in previous cases. Therefore, the Court directed the Tribunal to reevaluate the matter in light of the statutory provisions and previous decisions. The Court declined to answer the question directly but instructed the Tribunal to reconsider the issue in accordance with the guidance provided in previous judgments.

In conclusion, the High Court of Kerala emphasized the importance of applying the statutory guidelines when assessing bonus payments under the Income-tax Act. The Court directed the Tribunal to review the case considering the provisions of section 36(1)(ii) and the previous decisions of the Court regarding bonus payments.

 

 

 

 

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