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Issues involved:
The judgment involves disputes related to disallowance of interest expenditure u/s 14A of the Income-tax Act and addition to book profit u/s 115JB for assessment years 2003-04 and 2004-05. Issue 1: Disallowance of interest expenditure u/s 14A for AY 2003-04: The AO disallowed interest expenditure of Rs. 68,55,615 u/s 14A as the assessee had made tax-free investments in shares. The CIT(A) found that investments of Rs. 10,11,28,883 were made from own funds and directed the AO to consider only the balance for disallowance. The tribunal set aside the CIT(A) order for fresh consideration as new arguments were raised regarding the taxability of dividend income. Issue 2: Addition to book profit u/s 115JB for AY 2003-04: The AO added Rs. 4,40,526 to the book profit for provision of leave encashment, which the CIT(A) deleted as it was an ascertained liability. The tribunal upheld the CIT(A) decision citing the legal position that only specified adjustments can be made while computing book profit. Issue 3: Disallowance of interest u/s 14A for AY 2004-05: The AO disallowed interest of Rs. 35,68,280 u/s 14A, which was already disallowed by the assessee in the return. The tribunal noted double disallowance under section 14A and upheld the CIT(A) decision to delete the addition made by the AO. The tribunal partially allowed the appeal for AY 2003-04 for statistical purposes and dismissed the appeal for AY 2004-05.
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