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2021 (10) TMI 454 - AT - Income Tax


Issues Involved:
1. Disallowance of Provision for Medical Allowance
2. Disallowance of Provision for Leave Travelling Allowance
3. Disallowance of Incidental Expenses
4. Disallowance of Payment to Bellari Agenda Task Force (BATF)
5. Disallowance of Contribution to Bhagyalakshmi Yojana
6. Disallowance of Contribution to Chief Minister’s Relief Fund

Issue 1: Disallowance of Provision for Medical Allowance
The assessee claimed an expenditure of ?58.26 lakhs under "Provision towards Medical reimbursements." The A.O. disallowed this claim, viewing it as a contingent liability since reimbursement occurs only upon incurring medical expenses and producing bills. The Ld. CIT(A) upheld this disallowance. However, the Tribunal directed the A.O. to allow actual medical reimbursement expenses incurred during the year, as these were debited to the provision account and not to the Profit and Loss account.

Issue 2: Disallowance of Provision for Leave Travelling Allowance
The assessee claimed ?43.14 lakhs as provision for leave travelling allowance, which the A.O. disallowed as a future liability. The Ld. CIT(A) confirmed this disallowance. The Tribunal upheld the disallowance but directed the A.O. to allow actual leave travel expenses incurred during the year, similar to the treatment of medical reimbursements.

Issue 3: Disallowance of Incidental Expenses
The assessee claimed incidental expenses of ?5,66,703/-, which the A.O. disallowed due to lack of proper details. The Ld. CIT(A) confirmed this disallowance. The Tribunal also upheld this decision, as the assessee did not furnish the nature of these expenses.

Issue 4: Disallowance of Payment to Bellari Agenda Task Force (BATF)
The assessee's payment of ?1,40,00,000/- to BATF was disallowed by the A.O., who considered it a donation unrelated to the business. The Ld. CIT(A) upheld this disallowance, citing the Finance (No.2) Act, 2014, which excludes CSR activities from being business expenses. The Tribunal, however, allowed this expenditure, noting that the payment was made at the direction of local administration for public welfare, thus indirectly benefiting the assessee's business. The Tribunal referenced the jurisdictional High Court's decision in Kanhaiyalal Dudheria's case, which allowed similar expenses as business deductions.

Issue 5: Disallowance of Contribution to Bhagyalakshmi Yojana
The A.O. disallowed ?10.00 lakhs contributed to Bhagyalakshmi Yojana, as the assessee could not establish a business nexus. The Ld. CIT(A) confirmed this disallowance. The Tribunal upheld the decision, noting the lack of evidence linking the payment to the business.

Issue 6: Disallowance of Contribution to Chief Minister’s Relief Fund
The assessee's contribution of ?9.65 crores to the Chief Minister’s Relief Fund for flood victims was disallowed by the A.O. and upheld by the Ld. CIT(A), due to lack of business nexus. The Tribunal referenced the Karnataka High Court's decision in Kanhaiyalal Dudheria's case, which allowed similar expenses, but noted the absence of relevant details in the current case. The Tribunal remanded the issue back to the A.O. for fresh examination.

Conclusion:
The Tribunal partly allowed the assessee's appeals, directing the A.O. to allow actual medical and leave travel expenses incurred, delete the disallowance of BATF payment, and re-examine the contribution to the Chief Minister’s Relief Fund. The disallowances for incidental expenses and contributions to Bhagyalakshmi Yojana were upheld.

 

 

 

 

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