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1986 (1) TMI 25 - HC - Income Tax
Business Expenditure, Deduction For Priority Industry U/S 80I, Liability For Bonus, Special Deduction
Issues:
1. Deductibility of additional bonus liability for the assessment year 1971-72.
2. Calculation of deduction under section 80-I of the Income-tax Act, 1961.
Analysis:
1. Deductibility of Additional Bonus Liability:
The case involved a dispute regarding the deductibility of an additional bonus liability of Rs. 3,93,516 for the assessment year 1971-72. The Income-tax Officer and the Appellate Assistant Commissioner limited the allowance to the original amount provided in the account books. However, the Tribunal ruled in favor of the assessee, stating that the liability related to the assessment year in question, making it a deductible allowance even though quantified later. The High Court agreed with the Tribunal, emphasizing that the liability under the Payment of Bonus Act accrued in the relevant year, making its quantification later still an allowable deduction. The court distinguished this case from others by highlighting the statutory nature of the liability, which accrues annually. The judgment cited relevant case law to support the decision, ultimately ruling in favor of the assessee.
2. Calculation of Deduction under Section 80-I:
The second issue pertained to the calculation of deduction under section 80-I of the Income-tax Act, 1961. The Income-tax Officer and the Appellate Assistant Commissioner had held that the deduction should be calculated after setting off unabsorbed development rebate carried forward from the previous year. However, the Tribunal disagreed, citing precedents from the Kerala and Mysore High Courts, allowing the deduction before setting off the unabsorbed development rebate. The High Court referred to a Supreme Court decision in Cambay Electric Supply Industrial Co. Ltd. v. CIT, which established the precedence of deducting items of unabsorbed depreciation and development rebate before arriving at the figure for deduction under section 80-I. The court also referenced its own decision in a previous case, aligning with the Supreme Court's position on the matter. Consequently, the High Court ruled in favor of the Revenue, affirming the Tribunal's decision on the calculation of deduction under section 80-I.
In conclusion, the High Court answered the first question affirmatively in favor of the assessee and the second question negatively in favor of the Revenue. The judgment provided a detailed analysis of both issues, relying on statutory provisions and relevant case law to reach a well-reasoned decision.