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2019 (4) TMI 57 - HC - Income Tax


Issues involved:
1. Recognition of unrealized revenue as per Accounting Standard-9.
2. Recognition of unrealized income on a mercantile basis.

Issue 1: Recognition of unrealized revenue as per Accounting Standard-9

The case involved an appeal by the Revenue against the Income Tax Appellate Tribunal's order for the Assessment Year 2013-14. The Tribunal had allowed the assessee's appeal, raising the question of whether unrealized revenue from sales to customers should be recognized as per Accounting Standard-9. The Tribunal considered the uncertainty in the ultimate collection of revenue due to a pending lawsuit filed by the assessee against a bankrupt client, a foreign Government undertaking. The Tribunal applied Accounting Standard-9, which states that revenue should be recognized only when it becomes reasonably certain that ultimate collection will be made. The Tribunal concluded that since the recovery of the amount was uncertain, the revenue need not be recognized for the relevant assessment year. The High Court upheld the Tribunal's decision, stating that there was no substantial question of law involved in the matter.

Issue 2: Recognition of unrealized income on a mercantile basis

The Assessing Officer had disallowed the assessee's claim for not recognizing revenue in accordance with the Mercantile System of Accounting. The Officer held that revenue should be recognized when services are rendered, and the amount receivable should be recognized as revenue income for the relevant year. However, the Tribunal, considering the uncertainty in recovering dues from the bankrupt client, held that the revenue need not be recognized on a mercantile basis. The Tribunal's decision was based on the fact that the recovery of the amount was uncertain and in line with Accounting Standard-9. The High Court agreed with the Tribunal's reasoning and confirmed the deletion of the addition made for the relevant assessment year. The Court held that there was no substantial question of law involved in the appeal and dismissed it.

In conclusion, the High Court upheld the Tribunal's decision regarding the recognition of unrealized revenue and income, emphasizing the application of Accounting Standard-9 in cases of uncertainty in revenue collection. The Court found no substantial questions of law in the matter and confirmed the deletion of the addition made by the Revenue for the relevant assessment year.

 

 

 

 

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