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2024 (7) TMI 1427 - AT - Income Tax


Issues:
Department's appeal against order allowing interest u/s. 244A of the Income Tax Act, 1961 for assessment year 2004-05.

Analysis:
The Department appealed against the order of the Commissioner of Income Tax (Appeals)-38, New Delhi, specifically challenging the allowance of interest u/s. 244A of the Income Tax Act, 1961. The Department contended that interest was wrongly allowed to the assessee on MAT credit, citing Section 115JAA of the Act which restricts interest on tax credit. On the other hand, the assessee argued that interest was claimed on the refund of advance tax paid, not on MAT credit. The assessee supported this claim by referring to the computation of income, showing advance tax paid and refunded amounts. The dispute centered on whether interest was rightly allowed on advance tax refund or MAT credit.

The Appellate Tribunal examined the arguments and previous decisions cited by both parties. The Tribunal noted that the CIT(A) had directed the AO to allow interest u/s. 244A on the refund arising from advance tax paid by the assessee, relying on relevant case laws. However, the Tribunal observed an error in the CIT(A)'s order where it mentioned "refund arising on account of MAT credit" instead of advance tax. Due to this ambiguity, the Tribunal decided to remand the issue back to the AO for verification. The Tribunal clarified that interest should be allowed on refunds from advance tax payments as per the Supreme Court's decision in CIT vs. Tulsyan NEC, but no interest should be granted on refunds related to MAT credit.

In conclusion, the Department's appeal was partly allowed for statistical purposes, and the issue of interest on refunds was remanded to the AO for proper verification and application of interest u/s. 244A based on the nature of the refund - whether from advance tax payment or MAT credit.

 

 

 

 

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