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2013 (1) TMI 83 - AT - Income Tax


Issues Involved:

1. Deletion of disallowance of 25% of total royalty payment.
2. Addition towards stale cheques issued to ex-employees.
3. Disallowance of business loss due to non-availability of TDS certificates.
4. Disallowance under Section 43B for professional tax.

Issue-wise Analysis:

1. Deletion of Disallowance of 25% of Total Royalty Payment:

The Assessing Officer (AO) treated 25% of the royalty payment of Rs. 26,34,296/- as capital expenditure, citing the Supreme Court's decision in Southern Switchgears Ltd. v. CIT. The AO argued that the assessee derived an enduring benefit from the rights under the agreement. However, the CIT (A) found that the agreement granted only non-exclusive and non-transferable rights to use intangibles, with ownership remaining with the licensor. The CIT (A) held that the royalty payment was linked to turnover and thus was revenue in nature. The Tribunal upheld the CIT (A)'s decision, noting that the facts of the assessee's case differed significantly from Southern Switchgears Ltd., as the assessee was engaged in providing staffing and recruitment services, not manufacturing.

2. Addition Towards Stale Cheques Issued to Ex-employees:

The AO added Rs. 29,88,824/- towards stale cheques issued to ex-employees, arguing that the liability had ceased to exist. The CIT (A) deleted the addition, stating that the liability had not ended as per statutory audit and company law requirements. However, the Tribunal found the CIT (A)'s approach flawed, noting that the cheques were barred by limitation and became non-payable by law. The Tribunal set aside the issue to the AO for fresh consideration, emphasizing the need for a detailed examination of the facts and reconciliation of outstanding balances.

3. Disallowance of Business Loss Due to Non-availability of TDS Certificates:

The AO disallowed Rs. 11,12,816/- shown as business loss, arguing that TDS is a form of prepaid tax and not an allowable expense. The CIT (A) allowed the deduction, citing judicial precedents where losses due to non-receipt of TDS certificates were considered allowable. The Tribunal upheld the CIT (A)'s decision, referencing the Punjab & Haryana High Court's ruling in CIT v. Shreyans Industries Ltd., which supported the allowance of such losses incurred during the course of business.

4. Disallowance under Section 43B for Professional Tax:

The AO disallowed Rs. 7,49,074/- under Section 43B, arguing that professional tax collected should form part of turnover and be allowed only on actual payment. The CIT (A) deleted the disallowance, stating that the professional tax was not claimed as a deduction in the profit and loss account. The Tribunal found that certain facts were unclear, such as whether the salary debited included professional tax and whether the tax was deducted under the Professional Tax Act. The issue was set aside to the AO for fresh examination to determine the real character of the professional tax and its coverage under Section 43B.

Conclusion:

The Tribunal upheld the CIT (A)'s decisions on the deletion of royalty payment disallowance and the allowance of business loss due to non-receipt of TDS certificates. However, it set aside the issues of stale cheques and professional tax disallowance for fresh examination by the AO, emphasizing the need for a detailed factual analysis. The appeal of the revenue was partly allowed for statistical purposes.

 

 

 

 

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