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Issues Involved:
1. Deductibility of the sum paid by the assessee to the Government under the Income-tax Act, 1961. 2. Nature of the payment-whether it was a penalty or damages. 3. Connection of the payment with the business of the assessee. 4. Relevance of public policy and statutory obligations in the context of the payment. Issue-wise Detailed Analysis: 1. Deductibility of the Sum Paid by the Assessee to the Government: The primary question was whether the sum of Rs. 2,73,513 paid by the assessee to the Government was an admissible deduction under the Income-tax Act, 1961. The assessee claimed this amount as a deduction, arguing it was an expenditure incurred wholly and exclusively for the purposes of its business. The Income-tax Officer (ITO) disallowed this expenditure, a decision upheld by the Appellate Assistant Commissioner (AAC). However, the Income-tax Appellate Tribunal (ITAT) allowed the appeal, holding that the amount was not a penalty but damages, and thus an allowable deduction. The High Court upheld the Tribunal's decision, concluding that the payment was indeed deductible. 2. Nature of the Payment-Penalty or Damages: The nature of the payment was crucial in determining its deductibility. The Tribunal and the High Court both concluded that the payment was not a penalty but damages. The High Court noted that the bond executed by the assessee was a contractual obligation rather than a statutory one. The breach of the bond's conditions was not deliberate but due to an inability to fulfill the export quota in time. The Court emphasized that the bond was a contract entered into for business purposes, and the payment made for its breach was therefore in the nature of damages. 3. Connection of the Payment with the Business of the Assessee: The High Court observed that the bond was executed by the assessee to further its business interests by obtaining import entitlements for raw materials. The payment made for the breach of the bond was thus incidental to the business. The Court referenced the principle that business expenditure must be connected with the trade and be an ordinary incident of it. The Court found that the damages paid by the assessee were indeed connected with and incidental to its business, as the bond was a normal business contract. 4. Relevance of Public Policy and Statutory Obligations: The Court addressed the argument that the payment was against public policy or a breach of statutory obligations. It concluded that the bond did not have statutory force and was merely a contractual obligation. The Court distinguished the case from others where payments were made for infractions of law or breaches of statutory obligations, noting that the breach in this case was not deliberate and did not contravene public policy. The Court also referenced various case laws to support its view that damages paid for breaches of business contracts could be considered deductible business expenditures. Conclusion: The High Court answered the referred question in the affirmative, holding that the sum of Rs. 2,73,513 paid by the assessee to the Government was an admissible deduction under the Income-tax Act, 1961. The Court emphasized that the payment was in the nature of damages for a contractual breach and was incidental to the assessee's business, thus qualifying as a deductible business expenditure. The Commissioner was directed to pay the costs of the reference to the assessee.
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