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2023 (4) TMI 34 - AT - Income Tax


Issues Involved:

1. Validity of the order under section 263 of the Income-tax Act, 1961.
2. Adjustment of "transition amount" under section 115JB(2C) of the Income-tax Act, 1961.
3. Classification of Zero Coupon Unsecured Optionally Fully Convertible Debentures (ZOFCDs) and Fully Convertible Debentures (FCDs) as Compound Financial Instruments (CFIs).

Summary:

Validity of Order:

1. The Principal Commissioner of Income Tax (PCIT) directed the Assessing Officer (AO) to revise the assessment order under section 263, which the Assessee contested as neither erroneous nor prejudicial to the revenue's interest.
2. The PCIT concluded that the instruments in question were CFIs and thus, the amount of Rs. 15,824.47 crores should be included in the "transition amount" under section 115JB(2C) for computing book profit.
3. The Tribunal found that the PCIT's direction to apply section 115JB(2C) was based on an incorrect classification of the instruments as CFIs.

Adjustment of "transition amount" under section 115JB(2C):

1. The PCIT held that the ZOFCDs and FCDs were required to be included in the "transition amount" and one-fifth of this should be added to the book profit over five years.
2. The Assessee argued that these instruments were entirely equity in nature and did not affect the profits, hence should not be considered as part of the transition amount.
3. The Tribunal agreed with the Assessee, stating that the instruments did not have a financial liability component and thus could not be classified as CFIs. Consequently, no adjustment was required in the book profit under section 115JB(2C).

Classification of Instruments:

1. The PCIT classified the ZOFCDs and FCDs as CFIs based on the terms of the instruments, which included both equity and debt components.
2. The Assessee contended that the instruments were entirely equity in nature, as they did not have any financial liability and were presented under "Other Equity" due to the absence of specific guidance at the time.
3. The Tribunal examined the terms of the instruments and the relevant provisions of Ind AS 32, concluding that the instruments did not create a financial liability and were not CFIs. They were purely equity instruments.

Decision:

1. The Tribunal found that the PCIT's order was erroneous and prejudicial to the Assessee, as the instruments in question did not qualify as CFIs and thus, should not be included in the "transition amount" for computing book profit under section 115JB(2C).
2. The appeal filed by the Assessee was allowed, and the order of the PCIT under section 263 was reversed on merits.

 

 

 

 

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