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Issues involved: Interpretation of the term 'expenditure' u/s 40A(3) of the Income-tax Act in relation to purchase of raw material.
Summary: The case involved the assessment of M/s. New Light Tin Manufacturing Company for the year 1971-72, where the Income Tax Officer (ITO) disallowed an expenditure of Rs. 43,440 incurred on the purchase of tin plates due to non-compliance with the provisions of section 40A(3) of the Income-tax Act. The assessee's argument that payments were made in cash due to the nature of transactions with quota-holders was not accepted by the ITO. The Appellate Tribunal, however, ruled in favor of the assessee, stating that the expenditure on raw material cannot be considered as 'expenditure' u/s 40A(3). The High Court, in its judgment, referred to a previous case and held that payments made for the purchase of goods indeed fall within the meaning of 'expenditure' in section 40A(3) of the Act. The Court emphasized that the provision aims to prevent tax evasion through cash expenditures that are difficult to investigate. The judgment also cited a similar view by the Allahabad High Court. As a result, the Court ruled in favor of the revenue and against the assessee, directing a fresh decision on certain points left undecided by the Tribunal. In conclusion, the Court's decision clarified that payments for the purchase of goods constitute 'expenditure' u/s 40A(3) of the Income-tax Act, thereby upholding the revenue's position in the case.
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