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Issues involved: Appeal against order of Ld CIT(A)-XI, New Delhi for assessment year 2006-07 regarding disallowance u/s 14A of the Income Tax Act, 1961 against dividend income.
Summary: The assessee, engaged in financing and other income activities, declared total income of Rs. 5,00,72,527/- with dividend income of &8377; 8,36,291/-. The Assessing Officer disallowed &8377; 2,50,538/- u/s 14A against interest expenses. The Tribunal proposed a 10% disallowance of dividend income, which the assessee's representative accepted. The Revenue did not object to this proposition. The disallowance was confirmed by Ld CIT(A) based on section 14A and Rule 8D, but considering recent judgment, Rule 8D was deemed not retrospective for assessment year 2006-07. Thus, the Tribunal directed the Assessing Officer to limit the disallowance to 10% of dividend income due to the small amount in dispute, avoiding unnecessary delays. Consequently, the appeal was partly allowed. This judgment highlights the application of section 14A and Rule 8D in determining disallowance against dividend income, emphasizing the need for reasonableness and justice in tax assessments.
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