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2013 (9) TMI 235 - AT - Income Tax


Issues Involved:

1. Disallowance of exemption claimed under Section 10(23G).
2. Disallowance of expenses under Section 14A.
3. Disallowance of excess depreciation claimed on LAN, WAN.
4. Additional grounds raised by the assessee regarding bad debts under Section 36(1)(vii).

Detailed Analysis:

1. Disallowance of Exemption Claimed Under Section 10(23G):

The assessee, a public sector bank, claimed an exemption of Rs. 5,69,65,390/- under Section 10(23G) for interest derived from long-term finance provided to infrastructure capital funds/company. The AO disallowed this claim, arguing that the exemption under Section 10(23G) is available only to infrastructure capital funds or companies established specifically for mobilizing resources for financing infrastructure facilities. The CIT(A) allowed the assessee's appeal, following the ITAT, Amritsar Bench's decision in Jammu & Kashmir Bank Ltd. vs. Asstt. CIT, which stated that banking companies providing long-term finance to infrastructure enterprises are entitled to this exemption. The Tribunal upheld the CIT(A)'s order, confirming that the assessee, being a banking company, qualifies as an infrastructure capital company under Section 10(23G) and is entitled to the exemption.

2. Disallowance of Expenses Under Section 14A:

The AO disallowed Rs. 4,81,18,439/- as expenses attributable to earning tax-free income under Section 14A. The CIT(A) confirmed this disallowance. The Tribunal restored the issue to the AO to re-examine it in light of the Delhi High Court's decision in Maxopp Investment Ltd. vs. CIT, which mandates that the AO must first be dissatisfied with the assessee's claim regarding the expenditure incurred in relation to tax-free income before determining the amount of such expenditure using a reasonable and acceptable method.

3. Disallowance of Excess Depreciation Claimed on LAN, WAN:

The assessee claimed 60% depreciation on LAN and WAN equipment, treating them as integral parts of computer software. The AO allowed only 20% depreciation, considering them as special-purpose business machines. The CIT(A) allowed the assessee's appeal, referencing decisions in CIT vs. BSES Rajdhani Powers Limited and DCIT vs. M/s Datacraft India Ltd., which held that computer accessories and peripherals form an integral part of the computer system. The Tribunal confirmed the CIT(A)'s order, agreeing that LAN and WAN are integral to the computer system and thus eligible for 60% depreciation.

4. Additional Grounds Raised by the Assessee Regarding Bad Debts Under Section 36(1)(vii):

The assessee raised additional grounds based on the Supreme Court's judgment in Catholic Syrian Bank Ltd. vs. CIT, which clarified that provisions of Section 36(1)(viia) apply only to rural advances, and Section 36(1)(vii) operates independently for non-rural advances. The assessee claimed a deduction of Rs. 191,17,16,392/- for bad debts related to non-rural branches. The Tribunal admitted this legal claim, noting that all necessary details were on record, and directed the AO to verify and allow the claim if no separate bad debts had been written off for non-rural branches.

Conclusion:

The Tribunal partly allowed the assessee's appeal for statistical purposes and dismissed the department's appeal. The key takeaways include the upholding of the exemption under Section 10(23G) for banking companies, the need for a re-examination of disallowance under Section 14A, confirmation of higher depreciation rates for LAN and WAN equipment, and the admission and direction for verification of additional grounds related to bad debts under Section 36(1)(vii).

 

 

 

 

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