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2009 (11) TMI 582 - HC - Income Tax


Issues involved:
Challenge to the legality and correctness of the order passed by the Income-tax Appellate Tribunal regarding the treatment of expenses incurred for issue of convertible debentures as revenue or capital expenditure.

Detailed Analysis:

1. Background and Appeal: The Revenue appealed under section 260A of the Income-tax Act 1961, questioning the order of the Income-tax Appellate Tribunal, Bangalore, dated November 19, 2003, regarding the treatment of debenture issue expenditure. The substantial question of law admitted for consideration was whether expenses for convertible debentures should be treated as revenue or capital expenditure.

2. Assessment and Disallowance: The assessee filed its return for the assessment year 1993-94, claiming debenture issue expenditure. The Assessing Officer disallowed the claim, distinguishing between non-convertible and convertible debentures. The Commissioner of Income-tax (Appeals) provided relief for non-convertible debentures but disallowed the claim for the convertible portion.

3. Tribunal's Decision: The Income-tax Appellate Tribunal, Bangalore Bench, allowed the appeal, treating the expenditure for convertible debentures as revenue expenditure, not capital. This decision was the subject of the appeal before the High Court.

4. Judicial Precedents: The High Court considered a judgment of the Rajasthan High Court in a similar case, where it was held that even if debentures are converted into shares later, the expenditure on convertible debentures should be treated as revenue expenditure. The Supreme Court also dismissed a special leave petition related to the Rajasthan High Court's decision.

5. High Court's Decision: In light of the Rajasthan High Court's decision and the Supreme Court's dismissal of the special leave petition, the High Court held that the expenditure on convertible debentures should be treated as revenue expenditure, even if they are converted into shares later. Consequently, the High Court found no merit in the Revenue's appeal and dismissed it, answering the substantial question of law against the Revenue.

This detailed analysis provides a comprehensive overview of the legal judgment, including the background, assessment, tribunal's decision, relevant judicial precedents, and the High Court's final decision on the treatment of expenses for convertible debentures.

 

 

 

 

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