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1982 (12) TMI 8 - HC - Income Tax

Issues involved:
1. Allowability of entertainment expenses u/s 37(2B) of the Income-tax Act, 1961.
2. Disallowance of interest payment to a partner u/s 40(b) of the Income-tax Act, 1961.

Entertainment Expenses (Issue 1):
The assessee firm incurred expenses on refreshments for customers, which the Tribunal deemed as petty and not entertainment expenditure. The Tribunal allowed the entire expenditure as a deduction, citing it as an admissible business expense. The High Court concurred, referencing a previous decision that similar expenses were considered basic courtesy extended to constituents. Therefore, the first issue was decided in favor of the assessee.

Interest Payment Disallowance (Issue 2):
Regarding the disallowance of interest paid to a partner, the firm argued for a set-off of interest payable by the partner to the firm from a separate drawings account. The Assessing Officer disallowed a specific amount as interest paid by the firm to the partner. The firm contended that only the net interest should be disallowed under section 40(b) of the Income-tax Act, 1961. However, the High Court disagreed, stating that the section does not allow for a set-off of interest and disallowance is based on gross interest paid by the firm to the partner. The Court highlighted that previous decisions from the Allahabad High Court focused on fairness rather than a strict interpretation of the statute. The Court also dismissed the relevance of a departmental circular, emphasizing that advisory opinions should not be influenced by such circulars. Ultimately, the second issue was decided in favor of the Department and against the assessee.

In conclusion, the High Court ruled in favor of the assessee on the first issue regarding entertainment expenses but sided with the Department on the second issue concerning the disallowance of interest payments to a partner.

 

 

 

 

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