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2004 (3) TMI 323 - AT - Income Tax


Issues Involved:
1. Disallowance of loss on sale of tax-free bonds.
2. Disallowance of interest and administrative expenses related to tax-free bonds.
3. Treatment of loss as speculation loss.

Summary:

1. Disallowance of Loss on Sale of Tax-Free Bonds:
The assessee, a company engaged in financial management activities, incurred a loss of Rs. 8,44,156 in the purchase and sale of tax-free bonds for the asst. yr. 1989-90 and Rs. 5,75,994 for the asst. yr. 1991-92. The AO disallowed these losses, arguing that the interest received on tax-free bonds should be adjusted against the loss, resulting in no exemption u/s 10. The CIT(A) accepted the assessee's contention, relying on the Supreme Court's judgment in Vijaya Bank Ltd. vs. Addl. CIT, which held that the entire consideration paid for the purchase of bonds, including accrued interest, is capital outlay. The Tribunal upheld the CIT(A)'s decision, stating that the genuineness of the transactions was not in question and that the assessee's actions were within the law, thus allowing the losses for both assessment years.

2. Disallowance of Interest and Administrative Expenses Related to Tax-Free Bonds:
The AO disallowed Rs. 3,88,162 and Rs. 5,675 as financial and administrative expenses, respectively, attributing them to the tax-free income from bonds. The CIT(A) deleted this disallowance, accepting the assessee's claim that the investments were directly financed by third parties and citing the Supreme Court's judgment in CIT vs. Indian Bank. However, the Tribunal reversed the CIT(A)'s decision, invoking s. 14A, which disallows expenditure related to tax-free income. The Tribunal found no evidence that the assessee did not use interest-bearing funds to repay the loans and restored the AO's disallowance.

3. Treatment of Loss as Speculation Loss:
For the asst. yr. 1991-92, the CIT(A) treated a loss of Rs. 2,32,505 as speculation loss. This ground was not pressed by the assessee during the hearing and was thus dismissed by the Tribunal.

Conclusion:
Both appeals were partly allowed, with the Tribunal upholding the allowance of losses on the sale of tax-free bonds but restoring the disallowance of interest and administrative expenses related to tax-free bonds. The treatment of loss as speculation loss was dismissed as it was not pressed.

 

 

 

 

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