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2015 (11) TMI 290 - AT - Income Tax


Issues:
1. Disallowance of pro-rata depreciation on account of downward revaluation of assets in A.Y. 2000-2001.
2. Addition of prior period expenses.
3. Disallowance of depreciation on water supply and sewerage plants.
4. Disallowance on account of Foreign Exchange Fluctuation.
5. Disallowance of depreciation on assets not in active use.
6. Disallowance on depreciation of "Fiber Optic Computer Networking" and UPS.
7. Disallowance made under section 43B of the Income Tax Act.
8. Disallowance of depreciation on intangible assets of mining rights.
9. Addition on account of Long Service Awards provided on actuarial basis.
10. Addition made on account of Leave Travel Concession (LTC).

Analysis:

1. The case involved cross-appeals against the order of the Ld.CIT(A) for A.Y. 2009-10. The first issue was regarding the disallowance of pro-rata depreciation on assets revaluation in A.Y. 2000-2001. The Tribunal dismissed the appeal based on past decisions.

2. The second issue concerned the addition of prior period expenses. The First Appellate Authority allowed the claim, stating it was a regular feature and allowable under relevant sections of the Act. The Tribunal upheld this decision, dismissing the Revenue's appeal.

3. The next issue was the disallowance of depreciation on water supply and sewerage plants. The Tribunal upheld the First Appellate Authority's decision based on a previous ruling in favor of the assessee.

4. The disallowance on account of Foreign Exchange Fluctuation was the fourth issue. The Tribunal dismissed the Revenue's appeal, citing consistency with past decisions.

5. The fifth issue was the disallowance of depreciation on assets not in active use. The Tribunal dismissed the Revenue's appeal based on previous rulings.

6. The sixth issue was the disallowance of depreciation on "Fiber Optic Computer Networking" and UPS. The Tribunal upheld the assessee's position, following previous judgments.

7. The seventh issue was the disallowance made under section 43B of the Income Tax Act. The Tribunal dismissed the Revenue's appeal, citing compliance within the grace period.

8. The eighth issue involved the disallowance of depreciation on intangible assets of mining rights. The Tribunal clarified that the matter was not restored by the Ld.CIT(A) to the AO, dismissing the ground.

9. The ninth issue was the addition on account of Long Service Awards provided on an actuarial basis. The Tribunal upheld the First Appellate Authority's decision based on previous rulings.

10. The last issue was the addition made on account of Leave Travel Concession (LTC). The Tribunal dismissed the Revenue's appeal, following previous judgments.

In conclusion, both the Revenue's and the assessee's appeals were dismissed, and the Tribunal upheld various decisions based on past rulings and legal interpretations.

 

 

 

 

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