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2008 (4) TMI 822 - HC - Income Tax

Issues Involved:
1. Whether the interest receipts were incidental to the main business and should be treated as capital receipts.
2. Whether the Tribunal erred in not applying the Supreme Court's decision in Tuticorin Alkali Chemicals & Fertilizers Ltd. v. CIT.

Summary:

Issue I: Incidental Interest Receipts as Capital Receipts
The Tribunal held that the interest receipts were incidental to the main business of the assessee and should be treated as capital receipts, not as income from an independent source. This decision was based on the Supreme Court's judgment in CIT v. Karnal Co-operative Sugar Mills Ltd., where interest earned on deposits made for opening a letter of credit for purchasing machinery was deemed incidental to the acquisition of assets and thus a capital receipt.

Issue II: Applicability of Tuticorin Alkali Chemicals Case
The Revenue argued that the Tribunal should have applied the Supreme Court's decision in Tuticorin Alkali Chemicals & Fertilizers Ltd. v. CIT, where interest income from short-term deposits of borrowed funds was held to be taxable as revenue income. The Tribunal, however, distinguished this case by relying on the Supreme Court's decisions in CIT v. Bokaro Steel Ltd. and CIT v. Karnal Co-operative Sugar Mills Ltd., which treated similar interest receipts as capital receipts because they were inextricably linked with the setting up of the plant and machinery.

Court's Analysis and Conclusion
The High Court noted that both lines of reasoning'treating interest as revenue income (Tuticorin) and as capital receipt (Bokaro Steel and Karnal Co-operative)'have their own logical footing. The Tribunal's decision to follow the latter line of reasoning was found to be justified. The Court emphasized that it was not deciding whether the receipt should be treated as revenue or capital but upheld the Tribunal's decision as legally justified. Consequently, the appeal was dismissed, and the questions were decided in favor of the assessee and against the Revenue.

 

 

 

 

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