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2012 (12) TMI 403 - AT - Income Tax


Issues Involved:
1. Deduction under Section 80IB on duty drawback.
2. Allocation of common expenses between Mumbai and Daman Units.
3. Disallowance of employee's contribution to PF made beyond the due date.
4. Deduction of interest expenses for non-business purposes.

Issue-wise Detailed Analysis:

1. Deduction under Section 80IB on Duty Drawback:
The department challenged the CIT(A)'s decision allowing the deduction under Section 80IB on duty drawback, citing the Supreme Court's decision in Sterling Food Ltd. The Tribunal noted that the duty drawback does not directly derive from the industrial undertaking's business and reversed the CIT(A)'s order, confirming the AO's disallowance. The Tribunal allowed the department's grounds, emphasizing the indirect nexus of duty drawback with the industrial undertaking.

2. Allocation of Common Expenses Between Mumbai and Daman Units:
The AO allocated common expenses between the Mumbai and Daman Units based on turnover, invoking Section 145(3) due to dissatisfaction with the accounts' completeness. The CIT(A) disagreed, stating separate books were maintained and allocation based on turnover was unjustified. However, the Tribunal upheld the AO's method, referencing the ITAT Mumbai's decision in Nitco Tiles Ltd., which supports allocation of indirect expenses based on turnover. The Tribunal reversed the CIT(A)'s order, agreeing with the AO's allocation method.

3. Disallowance of Employee's Contribution to PF Made Beyond the Due Date:
The CIT(A) allowed the deduction for employee's PF contributions if paid within the grace period. The Tribunal found no infirmity in this decision and upheld the CIT(A)'s order, rejecting the department's ground on this issue.

4. Deduction of Interest Expenses for Non-Business Purposes:
The AO disallowed 50% of the interest expenses, attributing it to non-business purposes due to significant loans and advances. The CIT(A) upheld this disallowance, citing the Bombay High Court's rulings in Amritaben R. Shan and Chinal and Co. Pvt. Ltd., which deny deductions for interest on borrowings used to acquire controlling interests in companies. The Tribunal agreed with the CIT(A) but limited the disallowance to four days of interest for payments made on 28.3.2005 and interest on loans given to others without interest. The Tribunal partially allowed the assessee's ground, directing the AO to reassess the disallowance accordingly.

Conclusion:
The Tribunal allowed the department's appeal in part, reversing the CIT(A)'s decisions on duty drawback and expense allocation while upholding the CIT(A)'s decision on PF contributions. The assessee's appeal was also allowed in part, with a directive to the AO to reassess the interest disallowance based on the Tribunal's guidelines.

 

 

 

 

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