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2015 (12) TMI 608 - AT - Income Tax


Issues Involved:
Appeal against deletion of addition of interest-bearing funds diverted to a partner for non-business purposes.

Analysis:
1. The Assessing Officer observed a debit balance in the partner's capital account without any interest charged, leading to the addition of Rs. 11,43,263 under the Income Tax Act, 1961.
2. The Assessing Officer held that interest on capital should be governed by the partnership deed, and partners cannot claim interest if not allowed in the deed.
3. Citing relevant case laws, the Assessing Officer disallowed the amount based on the partnership deed's terms and prevailing market rates.
4. The CIT(A) allowed the appeal, noting that the partnership deed permitted interest-free withdrawals by partners and that the interest calculation would nullify interest from other partners.
5. The AR for the assessee argued that interest on capital is as per the partnership deed, and interest should be paid on cumulative capital accounts of both partners.
6. The AR referred to a Supreme Court decision to support that interest-free advances given in earlier years should not be disallowed in subsequent years.
7. The ITAT upheld the CIT(A)'s decision, stating that interest should be calculated on both partners' accounts, and since no interest was charged or paid since inception, the disallowance on one partner's debit balance was unjustified.

This detailed analysis covers the issues involved in the legal judgment comprehensively, highlighting the arguments presented by both parties and the rationale behind the final decision.

 

 

 

 

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