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Issues:
1. Whether indirect expenses incurred in setting up divisions of a company should be added to the cost of plant and machinery for depreciation and development rebate. 2. Whether a lump sum payment made for know-how should be capitalized as pre-production expenditure and included in the cost of machinery and plant. Analysis: Issue 1: The High Court considered whether indirect expenses of Rs. 27,548 incurred in setting up clutch plate and tie rod divisions should be added to the cost of plant and machinery for granting depreciation and development rebate. The court noted specific expenses incurred, including salaries, wages, travelling expenses, payments to architects, and re-doing foundation work. Relying on the authority in Challapalli Sugars Ltd. v. Commissioner of Income-tax, the court upheld the Tribunal's findings that these expenses could be capitalized. The court answered the first question in the affirmative, against the revenue. Issue 2: The second question involved a lump sum payment of Rs. 1,00,234 made by the assessee to a UK company for know-how related to manufacturing tie rods and clutch discs. The Income-tax Officer viewed this expenditure as initial know-how acquisition, not eligible for inclusion in the cost of plant and machinery. However, the Appellate Assistant Commissioner considered the payment as advice for plant and machinery erection, thus eligible for capitalization. The Tribunal, without delving into the nature of the agreement, remanded the matter to determine if the payment could be included in the cost of machinery and plant. The High Court directed the Tribunal to provide a clear finding on whether this amount could be capitalized before final disposal of the appeal. The court refrained from deciding on the nature of the expenditure and noted the need for further examination. The reference was answered in the negative, in favor of the revenue, with directions for the Tribunal to revisit the matter. In conclusion, the High Court's judgment addressed the capitalization of indirect expenses and a lump sum payment for know-how, emphasizing the need for a definitive finding on the inclusion of the latter in the cost of machinery and plant. The case highlights the complexities of distinguishing between capital and revenue expenditures in tax assessments, necessitating a thorough reevaluation by the Tribunal.
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