Home Case Index All Cases Income Tax Income Tax + AT Income Tax - 1989 (4) TMI AT This
Issues:
1. Admissibility of additional grounds raised by the Revenue. 2. Allowance of liability for provision of leave encashment. 3. Interpretation of actuarial report and its relevance in determining liability for leave encashment. The judgment addresses the admissibility of additional grounds raised by the Revenue concerning the direction to allow a liability for provision of leave encashment. The Revenue contended that the CIT (Appeals) erred in not recording reasons for admitting additional evidence and in relying on the actuarial report without expert examination. The Tribunal decided to admit the additional grounds as clarificatory in nature, emphasizing the need for recorded reasons for admitting additional evidence. Regarding the allowance of liability for leave encashment, the assessee made a provision for future liability, which the ITO disallowed citing lack of actuarial determination and statutory obligation. The CIT (Appeals) allowed the liability based on an actuarial report, supported by tribunal and Supreme Court judgments. However, the Revenue argued against the applicability of these judgments and cited contrary decisions. The Tribunal analyzed the actuarial report, concluding it lacked scientific basis and objective calculations, thus upholding the ITO's decision to disallow the liability provision. The judgment delves into the interpretation of actuarial reports in determining liabilities for leave encashment, highlighting the requirement for scientific principles in such evaluations. The Tribunal emphasized the absence of specific actuarial methods for assessing leave encashment liabilities, contrasting with gratuity liabilities. Referring to previous High Court decisions, the Tribunal rejected the actuarial report's validity, noting the lack of actual expenditure and scientific basis. Consequently, the Tribunal set aside the CIT (Appeals) decision and upheld the ITO's disallowance of the liability provision.
|