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1997 (12) TMI 51 - HC - Income Tax

Issues:
Interpretation of taxability of technical know-how fees under an agreement with a foreign company based on actual receipt basis.

Analysis:
The judgment revolves around the taxability of technical know-how fees of Rs. 5 lakhs receivable by the assessee under an agreement with a foreign company. The Assessing Officer contended that the amount should be taxed as income accrued, as the accounts were maintained on a mercantile basis. However, the assessee argued that due to a restriction imposed by the Indian Bank, the payment was not received, and the resolution passed by the board on May 20, 1982, treated the income on a cash basis. The Commissioner of Income-tax (Appeals) upheld the Assessing Officer's decision, stating that the amount should be taxed on actual receipt basis. The Tribunal disagreed, emphasizing that the resolution passed by the board indicated the intention to account for the income on a cash basis even before the foreign company came into existence. The Tribunal found that the Assessing Officer's and the Commissioner of Income-tax's orders were not in accordance with the law, and ruled that the amount should not be included in the assessee's income for the assessment year.

The Tribunal highlighted that the resolution passed by the board on May 20, 1982, clearly demonstrated the intention to account for the income on a cash basis, which was not disputed by the Department. The Tribunal emphasized that the Assessing Officer should have considered the resolution and the minutes of the directors' meeting. The Tribunal also noted that the bona fides of the assessee in passing the resolution were not challenged. Based on various legal decisions, the Tribunal concluded that the amount of Rs. 5 lakhs should not be included in the assessee's income for the assessment year, as it was not realized and the method of accounting was on a cash basis.

In the final judgment, the High Court concurred with the Tribunal's decision, stating that since the amount was not realized in the particular assessment year and was maintained on a cash basis, it cannot be taxed in that year. The Court emphasized that the income would only be taxable when actually received, aligning with the cash basis accounting method followed by the assessee. Consequently, the rule issued was discharged, and no costs were awarded.

This case underscores the importance of accounting methods in determining the taxability of income and the significance of board resolutions in establishing the intention behind financial transactions. The judgment clarifies that income should be taxed based on actual receipt, especially when the accounting method employed is on a cash basis, as evidenced by board resolutions and other supporting documentation.

 

 

 

 

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