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2014 (6) TMI 1034 - AT - Income Tax


Issues Involved:

1. Disallowance of deduction of administration and interest expenses.
2. Non-allowance of set-off of brought forward unabsorbed depreciation under Section 32(2) of the Income Tax Act against "income from other sources."

Issue-wise Detailed Analysis:

1. Disallowance of Deduction of Administration and Interest Expenses:

The primary issue raised by the assessee was the disallowance of deduction of administration and interest expenses on the grounds that the appellant was not carrying on any business and the income was assessable under the head "Income from other sources." The appellant argued that the expenses claimed were allowable as deductions while computing income under this head.

The Tribunal noted that the CIT(A) had followed the order passed in the appellant's own case for AY 2004-05, where the Tribunal had restored the issue back to the AO for a fresh decision. The Tribunal observed that similar facts were present in the current year and decided to restore the issue back to the file of the AO for fresh decision, in line with the earlier Tribunal's order. The Tribunal directed the AO to verify the exact nature of the income and the corresponding expenses and allow deductions accordingly.

2. Non-allowance of Set-off of Brought Forward Unabsorbed Depreciation under Section 32(2):

The second issue was the non-allowance of set-off of brought forward unabsorbed depreciation under Section 32(2) of the Act against "income from other sources." The appellant contended that as per Section 32(2), they were entitled to set off the brought forward unabsorbed depreciation of past years against the income assessed under the head "Income from other sources."

The Tribunal noted that the CIT(A) had followed the decision rendered in AY 2004-05, where it was held that since the appellant had no business activity since AY 1997-98, the depreciation for earlier years could not be set off against "income from other sources." The CIT(A) reasoned that in the absence of any business, no income was taxable under the business head, and hence the depreciation of earlier years could not be allowed under this head.

The Tribunal referred to the judgment of the Hon'ble Supreme Court in the case of CIT vs. Virmani Industries Pvt. Ltd., which held that unabsorbed depreciation could be set off against profits or gains chargeable under any other head, and it was not necessary for the assessee to carry on any business or profession to avail of the benefit of Section 32(2). However, the Tribunal noted that the facts in the present case were different as the assessee-company was under liquidation and no activity was being carried out. The Tribunal concluded that the claim of the assessee could not be accepted and upheld the CIT(A)'s decision on this ground.

Condonation of Delay:

The Tribunal also addressed the issue of delay in filing appeals for AYs 2007-08 and 2008-09. The Tribunal condoned the delay, citing the judgment of the Hon'ble Supreme Court in the case of N. Balakrishnan vs. M. Krishnamurthy, which emphasized that if the explanation for the delay did not indicate mala fides or a dilatory strategy, the court should show utmost consideration to the suitor.

Conclusion:

The Tribunal allowed the appeals partly for statistical purposes, restoring the issue of disallowance of deduction of administration and interest expenses back to the AO for fresh decision, while rejecting the ground related to the set-off of brought forward unabsorbed depreciation under Section 32(2). The Tribunal's decision was consistent across all the assessment years involved in the appeals.

 

 

 

 

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