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2013 (12) TMI 1204 - HC - Income TaxWhether additional liability on actual cost of asset in respect of fluctuations in foreign exchange rate be deductible u/s 43A - Held that - Following Commissioner of Income Tax. vs. Woodward Governor India (P) Limited 2009 (4) TMI 4 - SUPREME COURT - Amendment to Section 43A by Finance Act, 2002 w.e.f 1.4.2003 was amendatory and not clarificatory - It shall be prospectively effective from 1.4.2003 and the cases relating to earlier assessment years would be governed by unamended Section 43A of the Act - The present appeal which relates to the assessment year 1993-94, the same would be governed by the unamended provisions of Section 43A of the Act - The assessee was entitled to exchange rate fluctuation in respect of foreign currency in the assessment year in question as it was following mercantile system of accountancy - Decided against Revenue.
Issues:
- Interpretation of Section 32A of the Income Tax Act regarding deduction for additional liability due to fluctuation in foreign exchange rates. - Applicability of Section 43A of the Income Tax Act on exchange rate fluctuations for assets acquired from a foreign country. - Effect of the amendment to Section 43A by the Finance Act, 2002 on exchange rate adjustments. - Determination of the timing for adjustment of actual cost of capital assets due to exchange rate fluctuations. Analysis: Issue 1: Interpretation of Section 32A The appeal involved a question of law regarding the deduction under Section 32A of the Income Tax Act for the additional liability incurred due to fluctuation in foreign exchange rates after the installation of plant and machinery. The Revenue contended that the benefit should not be allowed unless the amount was actually paid by the assessee. However, the Court, after considering relevant case laws, found no merit in the appeal. Issue 2: Applicability of Section 43A The Court analyzed the provisions of Section 43A of the Act, which deals with adjustments in the actual cost of assets due to changes in the rate of exchange of currency. It was noted that the assessee was entitled to the benefit of exchange rate fluctuation for foreign currency in the assessment year in question as it followed the mercantile system of accounting. Issue 3: Amendment to Section 43A by Finance Act, 2002 The Court discussed the amendment brought about to Section 43A by the Finance Act, 2002, effective from 1.4.2003. The amendment specified that adjustments to the actual cost of capital assets due to exchange fluctuation should only occur at the time of actual discharge of the liability. It clarified that any adjustment already allowed before the amendment shall not be allowed again at the time of actual payment. Issue 4: Timing of Adjustment for Exchange Rate Fluctuations Referring to the judgment in Woodward Governor India (P) Limited's case, the Court highlighted that the amendment to Section 43A by the Finance Act, 2002 was amendatory and not clarificatory. It emphasized that the adjustment in the actual cost of assets should be made on a cash basis at the time of making payment, indicating a structural change in the provision. Therefore, the amendment would be prospective from 1.4.2003, and cases relating to earlier assessment years would be governed by the unamended Section 43A. In conclusion, the Court dismissed the appeal, holding that the assessee was entitled to the benefit of exchange rate fluctuation under the unamended Section 43A for the assessment year in question, based on the mercantile system of accounting followed by the assessee. The substantial question of law raised was answered against the revenue, and the appeal was consequently dismissed.
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