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Issues:
1. Interpretation of whether the subsidy received by the assessee company under the '10 per cent. Central Outright Grant or Subsidy Scheme, 1971' should be reduced from the cost of the assets owned by the assessee-company under section 43 of the Income-tax Act, 1961. 2. Determining if the Tribunal was justified in adjudicating upon the nature of the subsidy without obtaining relevant documents from the assessee constituting the basis of the subsidy. Detailed Analysis: Issue 1: The petitions involved a dispute regarding the treatment of subsidy received by the assessee company under the '10 per cent. Central Outright Grant or Subsidy Scheme, 1971' concerning the reduction from the cost of assets owned by the company under section 43 of the Income-tax Act, 1961. The Commissioner of Income-tax contended that the subsidy should be reduced from the cost of assets, while the Tribunal held otherwise. The Tribunal based its decision on the understanding that the subsidy granted for promoting industries in backward areas did not reduce the actual cost of assets acquired by the assessee. The Commissioner argued that the subsidy was not intended for direct or indirect investment in fixed assets, as per the Scheme's provisions. The Tribunal upheld the Commissioner's decision, emphasizing that the subsidy did not diminish the actual cost of assets to the assessee, considering it as a lump sum for promoting industry growth in backward areas. Issue 2: Another aspect of the case was whether the Tribunal was justified in adjudicating on the nature of the subsidy without procuring relevant documents from the assessee that formed the basis of the subsidy. The court observed that it was crucial to consider the terms of the Scheme, the content of the mortgage deed executed by the assessee, and other related documents to determine if the subsidy directly or indirectly affected the cost of assets. The court highlighted the need to analyze whether the subsidy was solely for working capital requirements or intended for the establishment or expansion of industrial units. The court concluded that the question of the subsidy's impact on asset costs required a construction-based interpretation of the Scheme and related documents, indicating that the Tribunal's decision without obtaining essential documents from the assessee was questionable. In summary, the judgment revolved around the interpretation of the subsidy's effect on asset costs under the Income-tax Act, emphasizing the need to consider the Scheme's provisions and related documents. The court directed the Tribunal to refer specific questions regarding the treatment of the subsidy and the Tribunal's adjudication process, highlighting the importance of a comprehensive analysis based on the Scheme's terms and relevant documentation.
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