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2016 (10) TMI 1281 - HC - Income Tax


Issues Involved:
Interpretation of revenue expenditure for Corporate Debt Restructuring expenses in specific assessment years.

Analysis:
The judgment dealt with the question of whether the entire expenditure of a certain amount should be allowed in a single assessment year or spread over multiple years. The Court referred to a previous judgment involving the same assessee, where it was held that once the expenditure is determined to be revenue in nature and incurred wholly and exclusively for business purposes, it can be allowed in its entirety in the year it was incurred. The Court emphasized that the decision in the previous case established a precedent that supported the assessee's position regarding the treatment of Corporate Debt Restructuring expenses. Consequently, the Court ruled in favor of the assessee, allowing the appeal and reversing the Tribunal's decision on the matter. The judgment concluded by disposing of the tax appeal in favor of the assessee, indicating a clear victory in the case regarding the treatment of the expenses in question.

 

 

 

 

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