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2013 (2) TMI 914 - AT - Income Tax

Issues involved:
The judgment deals with the disallowance of interest u/s. 40A(2)(b) of the Income-tax Act.

Ground I: Disallowance of interest u/s. 40A(2)(b) of the Act
The appellant challenged the disallowance of interest by the Deputy Commissioner of Income Tax, arguing that the interest paid was not excessive or unreasonable. The Assessing Officer found discrepancies in the interest debited by the assessee and made an addition to the income. The First Appellate Authority upheld the disallowance, stating that the excess interest paid could not be considered wholly and exclusively for business purposes. The appellant contended that similar interest payments were not disallowed in previous assessments. The Tribunal noted the lack of factual findings on the excessive/unreasonableness of the expenditure and reversed the FAA's decision based on precedents.

Ground II: General
The appellant sought the flexibility to add, amend, or delete any grounds of appeal.

The Tribunal found that the interest paid to Directors and relatives was higher than the interest received from Fixed Deposits, but the Assessing Officer failed to establish the unreasonableness or excessiveness of the payments. Citing previous cases, the Tribunal emphasized the need for factual evidence to support disallowance u/s. 40A(2)(b). Comparing the case with similar precedents, the Tribunal ruled in favor of the appellant, reversing the FAA's decision and allowing the appeal.

The judgment was delivered by Shri Rajendra, Accountant Member, and Shri I.P. Bansal, Judicial Member, on 22nd February 2013.

 

 

 

 

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