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2014 (2) TMI 932 - AT - Income Tax


Issues:
1. Allowance of amortization of premium paid on Government Securities by the assessee.
2. Valuation of capital assets and treatment of premium paid on Government Securities as revenue expenditure.

Issue 1: Allowance of amortization of premium paid on Government Securities by the assessee:
The appeal filed by the Revenue challenged the order of the CIT(A) allowing the amortization of premium paid on Government Securities by the assessee. The AO disallowed an amount on account of amortization of premium paid on Government Securities, but the CIT(A) decided the issue in favor of the assessee based on a previous order related to a cooperative bank. The Tribunal upheld the CIT(A)'s decision citing similar cases and legal principles. The Tribunal emphasized that the deduction for amortization was justified as per RBI guidelines and CBDT directions, concluding that the appeal filed by the Revenue was dismissed.

Issue 2: Valuation of capital assets and treatment of premium paid on Government Securities as revenue expenditure:
The Revenue contended that all capital assets should be valued at cost only, and no part thereof can be claimed as revenue expenditure. The Tribunal referred to the RBI guidelines classifying investments under different categories and the treatment of premium paid on Government Securities. It noted that the premium should be amortized over the period remaining to maturity for securities held to maturity (HTM) category. The Tribunal highlighted previous judgments supporting the amortization claim based on prudential norms of the RBI. It upheld the CIT(A)'s decision to delete the disallowance of the amount towards amortization of Government Securities, emphasizing that the claim was reasonable and in line with legal and factual findings. The Tribunal dismissed the appeal filed by the Revenue, citing consistency with previous decisions and absence of contrary material against the CIT(A)'s order.

In conclusion, the Appellate Tribunal upheld the CIT(A)'s decision to allow the amortization of premium paid on Government Securities by the assessee, based on relevant legal principles, RBI guidelines, and previous judgments. The Tribunal emphasized the reasonableness of the claim and the consistency with past decisions, ultimately dismissing the appeal filed by the Revenue.

 

 

 

 

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