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1986 (12) TMI 98 - AT - Income Tax

Issues:
Nature of claim of loss incurred in connection with management of advances for construction of warehouses; Whether the loss is from non-banking activity or part of banking business; Treatment of charges on account of issue of duplicate pass-books and other incidental charges.

Analysis:
For the assessment year 1982-83, the main issue was regarding the nature of a loss claimed by the bank in connection with the management of advances provided for construction of warehouses. The department contended that the supervision and technical assistance provided by the bank were related to the loans given and hence part of banking activity, while the bank argued that it was a non-banking activity. The bank claimed the income from supervision and technical assistance as income from other sources and treated related expenses resulting in a loss. The ITO considered the services provided by the bank as part of banking activity and rejected the claim of the bank. The CIT (A) accepted the bank's plea that it was a non-banking activity, stating that banks are not supposed to engage in storage projects. However, the ITAT found that the supervision and technical assistance were integral to the advancement of loans, which is a banking activity. Therefore, the income from these services was considered as part of the banking business, and any related loss was to be set off against the business income. The ITAT quashed the CIT (A) order and restored that of the ITO.

Regarding the charges on account of issue of duplicate pass-books and other incidental charges, the bank claimed that these were part of the banking business and should not be treated as income from other sources. The ITAT agreed with the bank, stating that these charges were clearly arising out of the banking business and should be treated as income from banking activities. Therefore, the ITAT allowed this claim of the bank.

In conclusion, the ITAT ruled that the supervision and technical assistance provided by the bank for construction of warehouses were considered part of the banking business, and any related income or loss should be treated as such. Additionally, charges on account of issue of duplicate pass-books and other incidental charges were deemed to be part of the banking business income. The ITAT upheld the bank's position on these matters and set aside the CIT (A) order.

 

 

 

 

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