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2018 (6) TMI 360 - AT - Income Tax


Issues:
1. Disallowance u/s 14A of the Act read with Rule 8D of the I.T. Rules.
2. Provision for leave encashment.
3. Disallowance of bad debts written off.
4. Levy of interest u/s 234B and 234C of the Act.

Analysis:

Issue 1: Disallowance u/s 14A of the Act read with Rule 8D of the I.T. Rules
- The dispute centered on the disallowance of expenses related to tax-exempt dividend income. The AO invoked Rule 8D of the ITAT rules without recording satisfaction for rejecting the assessee's suo-moto disallowance under Section 14A. The Tribunal referred to judgments emphasizing the need for the AO to provide cogent reasons for such rejection. As the AO failed to do so, the disallowance under Rule 8D was deleted.

Issue 2: Provision for leave encashment
- The Tribunal remanded this issue back to the AO for fresh adjudication in accordance with the law. The AO was directed to await the judgment of the Hon'ble Supreme Court or consider the alternative plea of allowing the claim on an actual payment basis.

Issue 3: Disallowance of bad debts written off
- The assessee's claim for bad debts written off was supported by a letter from the receiver indicating unrecoverability. The Tribunal held that once bad debts are written off based on cogent material, they should be allowed as a deduction. The Tribunal found that the conditions specified under the Act were satisfied, and hence, the ground of the assessee was allowed.

Issue 4: Levy of interest u/s 234B and 234C of the Act
- The revenue's appeal on the disallowance of expenditure u/s 14A was dismissed in view of the decision on the assessee's appeal. Consequently, the appeal of the revenue was dismissed, while the appeal of the assessee was allowed in part.

In conclusion, the Tribunal's judgment addressed various tax-related issues, including disallowances, provision for leave encashment, bad debts, and interest levies, providing detailed reasoning and legal references to support its decisions.

 

 

 

 

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