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Issues:
1. Allowability of bad debts claimed by the assessee. 2. Valuation of savings of raw-films as income. Issue 1: Allowability of Bad Debts: The assessee, a film processing laboratory, claimed bad debts of Rs. 4,07,715 before the ITO, consisting of processing charges and advances on raw stock. The ITO disallowed a portion, allowing only Rs. 1,28,987. The CIT (Appeals) directed the ITO to recheck, relying on similar past allowances. The department appealed, arguing that advances on raw-stock were correctly disallowed. The tribunal noted discrepancies in the ITO's bifurcation, indicating that processing charges were allowable bad debts. The tribunal remitted the matter to the CIT (Appeals) to consider each debtor's case for bad debt allowance based on the business nature of advances made. Issue 2: Valuation of Savings of Raw-Films: The assessee valued savings of raw-films as income, claiming it was not taxable due to import regulations and inability to sell. The ITO rejected this deduction, taxing the amount. The CIT (Appeals) held that the assessee could value the savings at cost (Nil) and deleted the sum. The department challenged this deletion, arguing the regular method of valuing the raw-films should be followed. The tribunal agreed with the department, stating that the savings constituted income, and the regular method of valuing them should be maintained. The tribunal held that the sum of Rs. 3,27,902 had to be included as income for the year under appeal. In conclusion, the tribunal partly allowed the departmental appeal, affirming the treatment of bad debts and the inclusion of savings of raw-films as income.
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