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Issues Involved:
1. Nature of software development expenses (capital vs. revenue). 2. Disallowance of various business expenses (conveyance, car, sales promotion, staff welfare, telephone, RST, P.F., and traveling expenses). Summary: Issue 1: Nature of Software Development Expenses The primary issue was whether the expenses incurred by the assessee on software development should be treated as capital or revenue in nature. The assessee argued that these expenses were revenue in nature due to the frequent need for modifications and short lifespan of the software. The Assessing Officer (AO) had disallowed these expenses, treating them as capital and allowed only 1/3rd depreciation. The CIT(A) upheld the AO's decision. Upon review, the Tribunal considered the nature of software and hardware, noting that software requires frequent updates and modifications due to changes in customer requirements, technological advancements, and legal regulations. The Tribunal found that the software used by the assessee did not provide enduring benefits and often became obsolete within a short period. Citing various case laws, including *Alembic Chemical Works Co. Ltd. v. CIT* and *Empire Jute Co. Ltd. v. CIT*, the Tribunal concluded that the software development expenses were revenue in nature and should be allowed in full. Thus, the assessee's appeal on this ground was allowed. Issue 2: Disallowance of Various Business Expenses The second issue involved the disallowance of various business expenses by the AO, which were partly sustained by the CIT(A). The Tribunal addressed each type of expense as follows: - Conveyance and Car Expenses: The AO disallowed 1/5th of these expenses. The Tribunal, considering the increased business activity and turnover, reduced the disallowance to Rs. 10,000. - Sales Promotion Expenses: The addition of Rs. 14,048 was sustained by the Tribunal as it was found to be rightly made. - Staff Welfare Expenses: The Tribunal deleted the addition of Rs. 3,000, noting that all vouchers were available and a separate addition for sales promotion had already been made. - Telephone Expenses: The Tribunal reduced the disallowance from Rs. 5,000 to Rs. 2,000, aligning with the reasoning applied to conveyance and car expenses. - RST and P.F.: This ground was not pressed by the assessee and was dismissed. - Traveling Expenses: The Tribunal restored this issue to the file of the CIT(A) for proper disposal after giving the assessee an opportunity to present their case. For the subsequent assessment year (1990-91), similar disallowances were addressed in the same manner as for the assessment year 1989-90. Conclusion: The appeals of the assessee were partly allowed. The Tribunal ruled that the software development expenses were revenue in nature and should be fully allowed. Various disallowances of business expenses were either reduced, deleted, or remanded for further consideration.
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