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2013 (9) TMI 567 - AT - Income Tax


Issues Involved:
1. Deemed payment of sales tax and its allowability under section 43B of the Income Tax Act, 1961.
2. Disallowance of interest on interest-free loans to subsidiaries.
3. Disallowance under section 14A of the Income Tax Act read with Rule 8D of the Income Tax Rules.
4. Deduction under section 80HHC of the Income Tax Act.
5. Disallowance of expenses on account of traveling of spouses of executives.
6. Depreciation on capitalized value of goods purchased from certain suppliers.
7. Arm's length price (ALP) in respect of charter hire charges paid to an associate enterprise.
8. ALP in respect of commission paid to an associate enterprise.
9. ALP for non-funded guarantee given by the appellant for advancing loans to an associate enterprise.
10. Disallowance under section 40A(ia) for non-deduction of tax at source under section 194C.
11. Adjustment under section 92C for consultancy charges paid to an associate enterprise.
12. Adjustment of book profits under section 115JB.

Detailed Analysis:

1. Deemed Payment of Sales Tax:
The Tribunal upheld the CIT(A)'s decision that the notional sales tax is a capital receipt not liable to tax, following the Special Bench decision in the assessee's own case for AY 1986-87. The Tribunal rejected the alternative plea of the assessee that the notional sales tax should be allowed under section 43B, as the main contention was decided in favor of the assessee.

2. Disallowance of Interest on Loans to Subsidiaries:
The Tribunal allowed the assessee's appeal, holding that the disallowance of interest is not justified since the assessee's own funds were far in excess of the interest-free loans given to subsidiaries. This was based on the Tribunal's earlier decision in the assessee's own case for AY 2002-03.

3. Disallowance under Section 14A:
The Tribunal upheld the CIT(A)'s decision to restrict the disallowance of administrative expenses to 1% of the exempt income for computing total income under normal provisions. However, it held that no disallowance under section 14A should be considered while computing book profits under section 115JB.

4. Deduction under Section 80HHC:
The Tribunal decided various sub-issues under section 80HHC:
- Excluding 90% of miscellaneous income and gross interest receipts while computing the deduction.
- Considering only net interest receipts after reducing interest expenditure.
- Excluding excise duty from total turnover.
- Applying section 80HHC(1B) while computing book profits under section 115JB.
- Not excluding the deduction allowed under section 80IA/80IB from profits for computing deduction under section 80HHC.

5. Disallowance of Traveling Expenses:
The Tribunal upheld the CIT(A)'s decision to disallow expenses on account of traveling of spouses of executives, following its earlier decision in the assessee's own case for AY 2002-03.

6. Depreciation on Capitalized Value of Goods:
The Tribunal confirmed the disallowance of depreciation claimed on the capitalized value of goods purchased from Durga Iron and Steel Ltd. and Surajbhan Rajkumar Pvt. Ltd., as the supply of material to the assessee remained unsubstantiated.

7. ALP for Charter Hire Charges:
The Tribunal set aside the orders of the authorities below and restored the matter to the AO to make a reference to the TPO to determine the ALP for charter hire charges afresh, following its earlier decision in the assessee's own case for AY 2002-03.

8. ALP for Commission Paid to Associate Enterprise:
The Tribunal upheld the disallowance made by the authorities below, holding that the payment of commission to the associate enterprise at the rate of 3% was not at ALP.

9. ALP for Non-Funded Guarantee:
The Tribunal upheld the CIT(A)'s decision to charge guarantee commission at the rate of 0.38% being ALP for the guarantee given by the assessee to Bank of America on behalf of its AE, rejecting the TPO's rate of 2.5%.

10. Disallowance under Section 40A(ia):
The Tribunal upheld the CIT(A)'s decision to allow the payment made by the assessee towards transportation of gas by GAIL (India) Ltd., holding that section 194C does not apply to the purchase of natural gas.

11. Adjustment under Section 92C for Consultancy Charges:
The Tribunal confirmed the CIT(A)'s decision to delete the adjustment made by the AO for consultancy charges paid to the associate enterprise, following its earlier decision in the assessee's own case for AY 2002-03.

12. Adjustment of Book Profits under Section 115JB:
The Tribunal held that the provisions of section 115JB should be applied as per the amended law, and no deduction under section 80HHC should be allowed while computing book profits for AY 2005-06 and subsequent years.

 

 

 

 

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