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2018 (8) TMI 858 - HC - Income TaxDepreciation u/s 32 - depreciation on the non-complete fee - depreciation on brand equity - Held that - the issue involved in this appeal is covered by the decision of this Court in Commissioner of Income Tax, Chennai Vs. M/s. Radaan Media Works India Ltd., Chennai 2017 (8) TMI 662 - MADRAS HIGH COURT - Decided against the revenue.
Issues:
1. Entitlement to depreciation on non-complete fee under Section 32 of the Income Tax Act. 2. Entitlement to depreciation on brand equity under Section 32 of the Income Tax Act. Analysis: 1. The High Court addressed the issue of entitlement to depreciation on the non-complete fee under Section 32 of the Income Tax Act for the assessment year 2005-2006. The Court considered the decision in Commissioner of Income Tax, Chennai Vs. M/s.Radaan Media Works India Ltd., where it was held that brand equity constitutes an intangible asset eligible for depreciation under Section 32(1)(ii) of the Act. The Court referred to precedents such as the case of Penta Media Graphics and the Delhi High Court's decision in Sharp Business Systems Vs. Commissioner of Income Tax to support the assessee's position. Consequently, the Court dismissed the Tax Case Appeal in favor of the assessee, citing the precedent and holding that brand equity qualifies as an intangible asset for depreciation. 2. The second issue involved the entitlement to depreciation on brand equity under Section 32 of the Income Tax Act. The Court relied on the decision in Commissioner of Income Tax, Chennai Vs. M/s.Radaan Media Works India Ltd., where it was established that brand equity falls within the definition of intangible assets eligible for depreciation under Section 32(1)(ii) of the Act. The Court highlighted that the brand equity valued at a specific amount was considered an intangible right falling under the category of 'business or commercial rights.' Additionally, the Court noted that the Department's standing counsel acknowledged the brand equity as an intangible right, further reinforcing the assessee's entitlement to depreciation. Consequently, the Court dismissed the Tax Case Appeal in favor of the assessee, emphasizing that brand equity constitutes an intangible asset eligible for depreciation under Section 32(1)(ii) of the Act.
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