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1975 (12) TMI 28 - HC - Income Tax

Issues involved: Interpretation of business expenses u/s 66(1) of the Income-tax Act.

Summary:
The case involved a reference made by the Income-tax Appellate Tribunal u/s 66(1) of the Income-tax Act, concerning the allowance of business expenses for a private limited company engaged in manufacturing and selling spare parts and accessories of motor vehicles during the accounting year 1959. The company had incurred expenses, including interest, purchases, and miscellaneous expenses, resulting in a net deficit in the profit and loss account. The Income-tax Officer disputed the claimed loss as not related to business activities, leading to a nil income computation. The Tribunal, however, allowed most expenses, except for a specific amount lacking detailed information.

The main question for consideration was whether the Tribunal was justified in allowing a sum of Rs. 27,159 as business expenses during the relevant accounting year. The Tribunal's decision was based on the commencement of business activities by the company, emphasizing that all expenses on revenue account should be deductible once business operations had started, even if not directly related to the specific business activity conducted in that year.

The judgment highlighted the importance of unity of control in determining business activities, referencing a Supreme Court case where the nature of business lines was considered in relation to unity of control. It was noted that in the present case, the company's activities under different clauses of its memorandum of association were interconnected and formed part of the same business. Therefore, the Tribunal's decision to allow the majority of expenses was deemed appropriate.

The Court, concurring with the Tribunal's approach, answered the question in favor of the assessee, emphasizing the unity of business activities and the justification for deducting expenses related to revenue accounts once business operations had commenced.

 

 

 

 

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