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2008 (11) TMI 66 - HC - Income TaxWhether Octroi, sales Tax and Excise Duty received by the assessee is not includable in the total turn over vis- -vis the export turn over for computing deduction u/s 80HHC question is answered in favour of assessee - Admittedly the debentures when issued is a loan, and therefore, whether it is convertible, or non convertible, does not militate against the nature of the debenture, being loan, and therefore, the expenditure on issue of debenture are admissible as revenue expenditure
Issues:
1. Inclusion of octroi, excise duty, and sales tax in total turnover for calculating deductions under Section 80HHC of the Income Tax Act, 1961. 2. Allowability of expenses incurred in relation to the issue of debentures as a deduction under Section 37 of the Income Tax Act, 1961. Issue 1: The Tribunal had to decide whether octroi, excise duty, and sales tax should be included in the total turnover for computing deductions under Section 80HHC. The Tribunal referred to various High Court decisions and found that these taxes should not be included in the turnover. The Revenue argued that recent Supreme Court judgments supported their position. The Supreme Court held that items like commission and interest should be excluded from deduction as they do not constitute turnover. The formula under Section 80HHC aims to segregate export profits from business profits, and including indirect taxes like excise duty and sales tax would make the formula unworkable. The Court agreed with the Tribunal's decision based on the authoritative Supreme Court judgments and ruled against the Revenue. Issue 2: Regarding the deductibility of expenses related to debentures under Section 37, the Tribunal relied on various High Court decisions and a Supreme Court judgment. The Tribunal found that expenses incurred in issuing debentures, being a loan, should be allowed as a deduction. The Revenue contended that convertible debentures should be treated as capital expenditure. However, the Court held that whether debentures are convertible or not does not change their nature as a loan. The Court cited the India Cement case, where the Supreme Court emphasized that the purpose of obtaining a loan is irrelevant to determining its expenditure nature. Therefore, the Court upheld the Tribunal's decision and ruled in favor of the assessee on this issue as well. In conclusion, the High Court dismissed the appeal filed by the Revenue, upholding the Tribunal's decisions on both issues. The Court's detailed analysis relied on various judicial precedents, including Supreme Court judgments, to support its findings.
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