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Issues involved: Determination of taxability of interest income on loans and advances as income from business or income from other sources for the assessment year 1967-68.
Summary: The High Court of BOMBAY delivered a judgment on the assessee's reference for the assessment year 1967-68, addressing the question of whether the interest income of Rs. 12,38,387 received on loans and advances should be taxed as income from business or income from other sources. The Tribunal had previously ruled on a similar issue for the assessment year 1966-67, determining the interest income as taxable from other sources, which was not challenged. In the current assessment year, the Tribunal reiterated its stance, considering factors such as the treatment of interest paid on borrowings as business expenditure, the origin of funds for advancing loans, and the nature of advances made to subsidiary companies and allied concerns. The Court acknowledged the Tribunal's reasoning and emphasized the assessee's responsibility to provide evidence to support the business nature of the advances, which was not done in this case. Consequently, the Court upheld the Tribunal's decision, concluding that the interest income on loans and advances is taxable as income from other sources for the year in question. No costs were awarded in this matter.
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