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2024 (7) TMI 775 - AT - Income Tax


Issues Involved:
1. Deletion of disallowance of various expenses.
2. Deletion of disallowance of interest paid to banks.
3. Deletion of addition of salary received from Ozone Pharmaceuticals Ltd.
4. Deduction under Section 80IB/80IC of the Income Tax Act.
5. Disallowance of selling and distribution expenses under Section 37 of the Income Tax Act.

Issue-wise Detailed Analysis:

1. Deletion of Disallowance of Various Expenses:
The Revenue appealed against the deletion of disallowance amounting to Rs. 18,50,000/- for the AY 2010-11. The Tribunal noted that this issue was recurring from earlier years and had been decided in favor of the assessee for AYs 2004-05, 2005-06, and 2009-10. The Tribunal observed that the disallowance was made on an ad hoc basis without any adverse material. Therefore, following the earlier orders, the Tribunal sustained the CIT(A)'s order deleting the ad hoc disallowance of expenses.

2. Deletion of Disallowance of Interest Paid to Banks:
The Revenue contended the deletion of disallowance of Rs. 16,21,955/- on account of interest paid to banks. The Tribunal found that this issue had also been decided in favor of the assessee in earlier years, particularly for AY 2009-10. The Tribunal noted that the CIT(A) had deleted the disallowance because the assessee had sufficient funds of its own to cover advances to sister concerns, and no specific instance of fund diversion was brought on record by the AO. Therefore, the Tribunal upheld the CIT(A)'s order deleting the disallowance of interest paid to banks.

3. Deletion of Addition of Salary Received from Ozone Pharmaceuticals Ltd.:
The Revenue's appeal included a ground regarding the deletion of an addition of Rs. 10,86,000/- related to salary received from Ozone Pharmaceuticals Ltd. The CIT(A) deleted the disallowance, noting that the assessee had not received any salary during the year and the TDS claim was a mistake. The Tribunal observed that the Revenue could not controvert the CIT(A)'s findings and, therefore, sustained the deletion of the addition.

4. Deduction Under Section 80IB/80IC of the Income Tax Act:
The Revenue challenged the deduction under Section 80IB/80IC, arguing that the Guwahati unit was formed by splitting up or reconstructing an existing business. The Tribunal found that this issue had been decided in favor of the assessee for AY 2009-10, following the order for AY 2003-04. The Tribunal noted that the CIT(A) had allowed the deduction, observing that the Guwahati unit was located in a notified area and was eligible for deduction under Section 80IC. The Tribunal upheld the CIT(A)'s order, allowing the deduction under Section 80IB/80IC.

5. Disallowance of Selling and Distribution Expenses Under Section 37 of the Income Tax Act:
For AY 2012-13, the assessee appealed against the disallowance of Rs. 5,08,43,220/- on account of selling and distribution expenses. The AO had disallowed 25% of these expenses, deeming them excessive compared to the total turnover. The CIT(A) sustained the disallowance, noting that the assessee failed to produce complete books and supporting vouchers. The Tribunal, after considering the submissions and evidence, found the 25% disallowance excessive and directed the AO to restrict the disallowance to 10%.

For AY 2013-14, the grounds were identical to those for AY 2012-13. The Tribunal applied the same reasoning and directed the AO to restrict the disallowance to 10%.

Conclusion:
The Tribunal dismissed the Revenue's appeal and partly allowed the assessee's appeals, directing the AO to restrict the disallowance of selling and distribution expenses to 10% for AYs 2012-13 and 2013-14. The Tribunal upheld the CIT(A)'s orders on the deletion of disallowances and deductions under various sections of the Income Tax Act.

 

 

 

 

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