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2017 (6) TMI 498 - AT - Income Tax


Issues Involved:

1. Disallowance of depreciation as application of income.
2. Net receipts vs. gross receipts in computation of application of income.
3. Treatment of unutilized grants as income.
4. Investment in fixed assets using loan amounts.

Issue-wise Detailed Analysis:

1. Disallowance of Depreciation as Application of Income:

The Revenue contended that the assessee claimed depreciation on assets, which had already been accounted for as application of income during the year of investment, leading to a double deduction. The Revenue argued that this practice was not permissible. The assessee countered by referencing Section 11 of the Income Tax Act, which exempts income derived from property held under trust for charitable purposes, provided that 85% of the income is applied towards the trust's objectives. The assessee cited various High Court judgments, including CIT v. Society of the Sisters of St. Anne, which upheld that depreciation should be allowed as it preserves the corpus of the trust. The Tribunal concluded that the issue was covered by the Karnataka High Court's judgment in Director of Income-tax, Exemptions v. Al-Ameen Charitable Fund Trust, and dismissed the Revenue's appeal on this ground.

2. Net Receipts vs. Gross Receipts in Computation of Application of Income:

The Revenue argued that the Assessing Officer (AO) allowed accumulation of 15% of net receipts instead of gross receipts. The CIT (A) had allowed accumulation of 15% of gross receipts. The assessee referenced the Bangalore Tribunal's decision in Jyothi Charitable Trust, which supported the accumulation at 15% on gross receipts under Section 11(1)(a). The Tribunal found no distinguishable features in the Revenue's argument and dismissed this ground, affirming the CIT (A)'s decision.

3. Treatment of Unutilized Grants as Income:

The Revenue contended that the assessee received grants from various sources for educational activities but did not utilize them, instead showing them as liabilities in the Balance Sheet. The Revenue argued that the CIT (A) decided the issue without seeking a remand report from the AO. The assessee maintained that the grants were utilized for specific purposes and separate bank accounts were maintained. The Tribunal noted that the CIT (A) should have sought a remand report from the AO to clarify the factual matrix. Consequently, the Tribunal remanded the matter back to the CIT (A) to seek a remand report from the AO on the utilization and accounting of the grants.

4. Investment in Fixed Assets Using Loan Amounts:

The Revenue argued that the assessee availed loans for capital expenditure and invested in immovable properties, which should not be considered as application of income. The assessee explained that loans were taken against fixed deposits for general and capital expenditure, referencing the Karnataka High Court's judgment in CIT v. Janmabhoomi Press Trust, which allowed repayment of debt for construction as application of income. The Tribunal held that allowing the use of borrowed funds as application of income would result in double deduction, which is not permissible. The Tribunal concluded that the CIT (A) erred in allowing the claim for acquisition of capital assets from borrowed funds and allowed the Revenue's appeal on this ground.

Conclusion:

The appeal of the Revenue was partly allowed for statistical purposes, with the Tribunal upholding the disallowance of depreciation as application of income, affirming the accumulation on gross receipts, remanding the issue of unutilized grants, and disallowing the claim for acquisition of capital assets from borrowed funds.

 

 

 

 

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