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Issues involved: Determination of admissibility of deduction for a sum of Rs. 1,44,229 in the assessment for 1962-63.
Summary: The respondent-assessee, a registered firm engaged in money-lending and commission agency, entered into forward contracts on behalf of its constituents resulting in losses. The assessee paid the losses on their behalf, which the parties did not repay, leading to the assessee writing off the amounts as bad debts. The Income Tax Officer (ITO) rejected the claim, stating the loss arose from illegal transactions not in the course of business. The Appellate Authority Commission (AAC) upheld the decision, but the Income-tax Appellate Tribunal ruled in favor of the assessee, stating the loss was intimately connected with its commission business. The Tribunal found the assessee carried out only one business with intermingling of funds, allowing the deduction for the loss suffered. The Revenue contended the loss pertained to speculative business and was incurred after the commission business ceased, but the Tribunal's findings supported the deduction claim. The High Court affirmed the Tribunal's decision, holding the assessee entitled to the deduction for the assessment year 1962-63. The Tribunal's findings that the loss did not relate to speculative business but to normal business activity as commission agents were upheld by the High Court. The Tribunal's observation that the assessee's money-lending and commission business activities were inseparable, with intermingling of funds, supported the allowance of the deduction for the relevant accounting year. The High Court agreed with the Tribunal's view that the assessee maintained only one business with intertwined activities, justifying the deduction for the assessment year 1962-63. In conclusion, the High Court ruled in favor of the assessee, affirming the admissibility of the deduction for the sum in question for the assessment year 1962-63. The Commissioner was directed to pay the costs to the respondent-assessee, along with the advocate's fee.
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