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2014 (3) TMI 844 - AT - Income Tax


Issues: Stay of outstanding demand for A.Y. 2010-11 due to disallowance of broken period interest.

Analysis:
1. Background: The assessee sought a stay of the outstanding demand of Rs. 900,00,33,067/- for A.Y. 2010-11, primarily arising from the disallowance of broken period interest amounting to Rs. 2649,26,00,000/-.

2. Assessee's Argument: The counsel for the assessee argued that previous decisions by the Tribunal and the Hon'ble Bombay High Court favored the assessee's case regarding broken period interest. The counsel highlighted that the A.O. had allowed broken period interest in previous assessment years and that the disallowance for A.Y. 2010-11 was inconsistent with past practices.

3. Revenue's Argument: The ld. D.R. opposed the stay application, emphasizing that the A.O. had not taken coercive action for recovery despite the outstanding demand. The Revenue contended that the disallowance was justified based on specific grounds different from previous years, and the ld. CIT(A) had upheld the disallowance.

4. Tribunal's Decision: After considering both arguments and the merits of the case, the Tribunal found in favor of the assessee. The Tribunal noted the prima facie case of the assessee on the disallowance of broken period interest and granted a stay of the outstanding demand for six months or until the appeal's disposal, whichever is earlier. The Tribunal directed the assessee to offer sufficient security to the satisfaction of the A.O. during the stay period.

5. Conclusion: The Stay Application filed by the assessee was allowed, and the appeal was scheduled for an expedited hearing on 10-06-2014. The order aimed to balance the interests of the assessee and the Revenue by granting the stay while ensuring the protection of the Revenue's interests through the provision of adequate security.

 

 

 

 

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