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2003 (12) TMI 282 - AT - Income Tax

Issues Involved:
1. Entitlement to deduction under section 32AB for raw-material and labor charges used for fabricating plant and machinery.
2. Entitlement to deduction under section 32AB for additions to the existing plant and machinery.
3. Entitlement to deduction under section 32AB for the purchase of components and spare parts of plant and machinery.

Detailed Analysis:

Issue 1: Deduction for Raw-Material and Labor Charges for Fabricating Plant and Machinery
The Tribunal considered whether an assessee is entitled to a deduction under section 32AB if they utilize their income for the purchase of raw-material and incur labor charges for fabricating a new machinery or plant instead of purchasing a new machinery itself. The Tribunal concluded that the terms 'utilization', 'purchase', and 'new machinery' in section 32AB should be liberally construed to achieve the legislative intent of promoting industrial growth. They emphasized that a literal interpretation would frustrate this purpose. The Tribunal cited various legal precedents, including the Hon'ble Supreme Court's ruling in Mysore Minerals Ltd. v. CIT and CIT v. Indian Turpentine & Rosin Co. Ltd., to support a broader interpretation. Consequently, the Tribunal held that the assessee is entitled to a deduction under section 32AB for raw-material and labor charges used for fabricating plant and machinery.

Issue 2: Deduction for Additions to Existing Plant and Machinery
The Tribunal examined whether the deduction is allowable if machinery or plant is purchased and utilized for addition or expansion in the existing plant and machinery. They defined 'machinery' and 'plant' broadly, referencing definitions from legal dictionaries and previous court rulings. The Tribunal concluded that if new machinery or plant is purchased or fabricated and installed with the existing machinery for addition or expansion, the assessee is entitled to claim deduction under section 32AB. They emphasized that the deduction is allowable if the new machinery or plant functions independently or enhances the capacity or output of the existing machinery.

Issue 3: Deduction for Purchase of Components and Spare Parts
The Tribunal addressed whether deduction is allowable in respect of the purchase of components and spare parts of plant and machinery. They laid down specific postulates:
1. Investment in spare parts used for replacing old parts or repairing existing machinery is not eligible for deduction under section 32AB.
2. Components or spare parts by themselves do not fall within the expression 'plant and machinery'. However, a component may sometimes be treated as 'machinery' or 'plant' based on its function.
3. If old machinery is reconditioned with new components without substantially increasing its capacity, the deduction is not allowable.
4. A functional test must be applied to determine whether the components or spare parts qualify as 'machinery' or 'plant' in the context of their use.

The Tribunal emphasized that each case must be evaluated on its facts to determine eligibility for deduction under section 32AB.

Conclusion:
The Tribunal concluded that the assessee is entitled to deductions under section 32AB for raw-material and labor charges used for fabricating new machinery, for additions to existing machinery, and under certain conditions, for the purchase of components and spare parts. The decision underscores the importance of a liberal and purposive interpretation of tax provisions to promote industrial growth. The records were directed to be placed before the regular Bench for deciding the grounds of appeal in light of these findings.

 

 

 

 

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