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2014 (8) TMI 119 - HC - Income Tax
Share capital and reserves - Investment in tax free securities/ investments represented in assessee s own funds or not Held that - Following the decision in The Commissioner of Income Tax Versus Reliance Utilities & Power Ltd. 2009 (1) TMI 4 - HIGH COURT BOMBAY - the Assessee's own funds and other non-interest bearing funds were more than the investment in the tax-free securities - the Assessee's capital, profit reserves, surplus and current account deposits were higher than the investment in the tax-free securities - the investment made by the Assessee would be out of the interest-free funds available with the Assessee - the Tribunal had erred in dismissing the Appeal Decided against Revenue. Broken period interest Allowable as deduction or not Held that - There was no infirmity in the orders passed by the CIT (A) or the Tribunal Tribunal have merely followed the judgment of the Court in the case of American Express International Banking Corporation v/s Commissioner of Income Tax 2002 (9) TMI 96 - BOMBAY High Court no substantial question of law arises for consideration Decided against Revneue.