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2024 (12) TMI 908 - AT - Income Tax


Issues:
Assessee's claim of depreciation on a car purchased in the name of her husband for business purposes.

Detailed Analysis:

Issue 1: Claim of Depreciation
The appeal was filed against the order confirming the disallowance of depreciation on a car purchased by the assessee in her husband's name for business use. The assessing officer disallowed the claim stating the car was not owned by the assessee and was not used for business purposes. The CIT(A) upheld this decision.

Issue 2: Legal Arguments
The appellant argued that despite the car being in her husband's name, she funded its purchase and used it for business. Citing various case laws, the appellant contended she should be entitled to depreciation. The revenue supported the impugned order.

Issue 3: Ownership and Usage Requirement
For depreciation under section 32 of the Income Tax Act, the assessee must prove ownership and usage of the tangible asset for business. The car was bought with the assessee's funds but registered in her husband's name. The assessing officer and CIT(A) found the car was not owned or used for business by the assessee.

Issue 4: Case Law Analysis
The case laws referred by the assessee establish ownership rights for depreciation even if the asset is not registered in the assessee's name but used for business. However, the lack of evidence such as logbooks or travel records for business use of the car weakened the assessee's case.

Issue 5: Lack of Evidence
The assessing officer noted the absence of evidence like logbooks or travel details to prove business use of the car. The lack of documentation regarding the terms of use between the assessee and her husband was detrimental to the assessee's claim.

Issue 6: Decision
The tribunal found the assessee failed to demonstrate the car's usage for business purposes, essential for claiming depreciation. As the assessee could not provide sufficient evidence, the claim for depreciation was denied. The appeal was dismissed in favor of the revenue.

In conclusion, the tribunal ruled against the assessee's claim of depreciation on the car due to insufficient evidence of business usage, despite ownership arguments. The judgment emphasized the importance of maintaining proper documentation to substantiate claims for tax benefits.

 

 

 

 

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