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1986 (2) TMI 16 - HC - Income Tax

Issues Involved: Determination of whether expenditure on project reports and feasibility studies is revenue expenditure or capital expenditure.

Summary:
The High Court of Karnataka, in a judgment delivered by Puttaswamy J., addressed references made under section 256(1) of the Income-tax Act, 1961 regarding the nature of expenditure incurred by a government company for project reports and feasibility studies. The Karnataka State Industrial & Investment Development Corporation Ltd. claimed the expenditure as revenue expenditure, which was disallowed by the Income-tax Officer but allowed by the Appellate Assistant Commissioner and the Tribunal. The main question was whether this expenditure should be classified as revenue or capital expenditure.

The Tribunal and the Appellate Assistant Commissioner, applying legal principles, both concluded that the expenditure in question was revenue expenditure, considering the nature of the business activities of the assessee. The High Court found that the Tribunal had correctly applied the legal principles and had not misapplied them in determining the nature of the expenditure. The Court disagreed with the Revenue's argument that the expenditure should be classified as capital expenditure.

Therefore, the High Court answered the question in the affirmative, ruling in favor of the assessee and against the Revenue. The Court also directed that each party should bear their own costs in the circumstances of the cases.

 

 

 

 

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