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Issues involved: Assessment of expenditure incurred on foreign education of a company director's daughter for the assessment year 1961-62.
Summary: The case involved a private limited company publishing a Marathi newspaper in Poona, where the daughter of the directors was sent to the U.S.A for specialized education in journalism and business administration. The dispute arose when the Income-tax Officer disallowed a portion of the expenditure incurred on her education, stating that it was not expedient from a businessman's point of view to incur such large expenditure on foreign education when similar facilities were available in India. The Appellate Assistant Commissioner agreed with the Income-tax Officer's view, but considered the expenses as a proper revenue deduction. The Tribunal, however, disagreed with the Income-tax Officer's reasoning and found that the daughter was qualified for the training and her selection was not based solely on her relationship with the directors. The Tribunal also noted that the company had not taken any commitment from the daughter to serve the company after her training, which they considered as not behaving in a sensible or businesslike manner. Despite this, the Tribunal found that the expenditure was proper and beneficial to the company, especially considering the daughter's qualifications and her subsequent return to work for the company. The High Court agreed with the Tribunal's findings, emphasizing that the relationship between the directors and the daughter provided assurance that the training would benefit the company. Therefore, the High Court answered the question in favor of the assessee, stating that the reason given by the Tribunal for disallowance was not sustainable in light of the circumstances and the close relationship between the parties. In conclusion, the expenditure incurred on the foreign education of the director's daughter was deemed allowable as a deduction in determining the business profits of the company for the assessment year 1961-62.
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