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2014 (7) TMI 1271 - HC - Income Tax


Issues:
1. Allowability of deduction under Section 80JJA of the Income Tax Act.
2. Treatment of bad debts in relation to money lending business.

Analysis:
1. The judgment addresses the issue of deduction under Section 80JJA of the Income Tax Act. The Court noted that the Appeal challenged the order of the Commissioner of Income Tax (Appeals) dated 17th August 2009, which partly allowed the Assessee's Appeal. The Tribunal, in the current Assessment Year, adopted reasoning similar to previous cases, leading the Court to conclude that no substantial question of law was raised. As a result, the Appeal was dismissed.

2. The second issue pertains to the treatment of bad debts in the context of a money lending business. The Court examined the claim for bad debts made by the Assessee, emphasizing that the lack of a license for the money lending business should not automatically disqualify the claim. The Commissioner had previously granted the claim, stating that the amount was lent in the ordinary course of business, efforts were made for recovery, but they were unsuccessful. The Tribunal's reproduction of the Commissioner's findings was deemed erroneous by the Appellant, but the Court found that this did not give rise to a substantial question of law. The Court upheld the Tribunal's decision to reaffirm the Commissioner's conclusion regarding the bad debts claim, dismissing the Appeal as the findings were factual and did not raise any legal questions.

In conclusion, the judgment delves into the issues of deduction under Section 80JJA of the Income Tax Act and the treatment of bad debts in a money lending business. It highlights the Court's assessment of the facts and legal arguments presented, ultimately leading to the dismissal of the Appeal on the grounds that no substantial question of law was raised in either issue.

 

 

 

 

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