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2016 (11) TMI 253 - AT - Income Tax


Issues:
1. Disallowance of lease rental paid
2. Disallowance of legal and professional cost
3. Disallowance of travel cost
4. Disallowance of selling cost due to non-deduction of TDS

Issue 1: Disallowance of Lease Rental Paid

The appellant claimed a deduction of ?63,82,442 as lease rental paid, which was disallowed by the Assessing Officer (AO) due to lack of supporting documents. The AO added this amount to the declared income. The CIT(A) observed that the AO's disallowance lacked detailed discussion and specific requests for expense details. The appellant argued that the expenses were genuine and submitted evidence supporting the claim. The CIT(A) found the AO's decision erroneous, stating that the lease rental expenses were legitimate business expenses. Consequently, the disallowance was deleted.

Issue 2: Disallowance of Legal and Professional Cost

The AO disallowed ?11,11,500 from the legal and professional cost claimed by the appellant, considering it a mere provision without actual expenditure. This amount was added to the appellant's income. The CIT(A) reviewed the case and noted that the AO's decision lacked substantial reasoning and specific demands for expense particulars. The appellant provided detailed documentation proving the legitimacy of the expenses. The CIT(A) concluded that the disallowance was unfounded and allowed the appellant's appeal, deleting the addition.

Issue 3: Disallowance of Travel Cost

Regarding the travel cost, the AO disallowed ?52,56,526, considering it a provision without actual expenditure. This disallowed amount was added to the appellant's income. The CIT(A) examined the case and found the AO's decision lacking in-depth analysis and specific requests for expense details. The appellant furnished extensive evidence demonstrating the genuineness of the expenses. The CIT(A) determined that the disallowance was unjustified and, therefore, deleted the addition.

Issue 4: Disallowance of Selling Cost due to Non-Deduction of TDS

The AO disallowed ?1,17,85,481 of selling cost due to non-deduction of TDS on payments made to overseas vendors. The AO held that no supporting documents were provided for these payments. The CIT(A) analyzed the case and found the AO's decision lacking detailed examination and specific demands for payment evidence. The appellant presented comprehensive details, agreements, and invoices supporting the payments made to non-resident parties. The CIT(A) concluded that the AO misinterpreted facts and legal provisions, leading to the unjust disallowance. Consequently, the disallowance was overturned.

In conclusion, the CIT(A) dismissed the Revenue's appeal, emphasizing that the AO's disallowances lacked substantial justification and detailed scrutiny. The CIT(A) found the appellant's expenses genuine and allowable, deleting the additions made by the AO. The decision was pronounced on October 20, 2016.

 

 

 

 

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