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2013 (4) TMI 262 - AT - Income Tax


Issues:
Disallowance of interest expenditure claimed in the Profit & Loss Account for the AY 2009-10.

Analysis:
The assessee contested the disallowance of Rs.3,03,30,262 interest expenditure, arguing it was for business purposes, not due to lack of business activity. The Assessing Officer assessed income under 'business income' but disallowed interest income. The assessee cited cases to support continuous business operation despite temporary inactivity. The DR argued interest can be allowed only if used for business. The Tribunal noted interest deduction under Section 36(1)(iii) for capital borrowed for business purposes. The balance sheet showed high borrowing but minimal current assets and investments, with no clear link between borrowed funds and business activities. The assessee's explanation lacked evidence of fund utilization for business, leading to disallowance. Various court decisions cited were deemed irrelevant due to differing facts. The Tribunal upheld the disallowance as the assessee failed to prove borrowed funds were used for business, dismissing the appeal.

This detailed analysis of the judgment highlights the key arguments, legal provisions, financial evidence, and court decisions considered in the case, leading to the final decision to dismiss the appeal.

 

 

 

 

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