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2010 (11) TMI 1064 - AT - Income Tax

Issues Involved:
1. Whether notional interest on interest-free deposit should be added to the rent received for determining the annual value u/s 23(1)(a) of the Income Tax Act.
2. Whether the CIT(A) erred in not appreciating the fact that the rent earned would have been higher without the interest-free deposit.

Summary:

Issue 1: Notional Interest on Interest-Free Deposit

The assessee rented out property at 65-C, Mittal Tower, Nariman Point, Mumbai, for a monthly rent of Rs. 10,000 and an interest-free deposit of Rs. 60,00,000. The AO proposed adding notional interest on the interest-free deposit to the rent received to determine the annual value u/s 23(1)(a). The assessee relied on the Bombay High Court decision in J.K. Investors (Bombay) Ltd., which stated that notional interest should not be added to the annual value. The AO, however, referenced the Tribunal's decision in Tivoli Investment & Trading Co. P. Ltd., which suggested that notional interest should be considered to determine the annual value. The AO determined the annual value at Rs. 10,20,000, including notional interest.

Issue 2: CIT(A)'s Decision

On appeal, the CIT(A) directed the AO to accept the annual value as declared by the assessee, following the Bombay High Court's decision in J.K. Investors (Bombay) Ltd. The revenue appealed against this decision.

Tribunal's Findings:

The Tribunal considered similar issues in the case of DCIT Vs. Reclamation Realty India Pvt. Ltd., where it was held that the annual value should be based on the municipal valuation unless the actual rent received exceeds this value. The Tribunal referenced several judicial pronouncements, including the Supreme Court's decisions in Diwan Daulat Kapoor and Mrs. Sheila Kaushish, which supported the view that the annual value should be based on municipal valuation or standard rent under rent control laws, not on notional interest.

The Tribunal also noted that the Bombay High Court in Smitaben N. Ambani Vs. CWT held that municipal valuation should be the yardstick for determining annual value. The Tribunal found that the decision in Baker Technical Services (P) Ltd., which was contrary to the Bombay High Court's view, could not be followed. The Tribunal concluded that the annual value should be the municipal valuation, and notional interest on the interest-free deposit should not be added.

Therefore, the Tribunal upheld the CIT(A)'s order and dismissed the revenue's appeal.

Conclusion:

The appeal by the revenue is dismissed, and the order of the CIT(A) is upheld, confirming that notional interest on interest-free deposits should not be added to the rent received for determining the annual value u/s 23(1)(a) of the Income Tax Act.

Order pronounced in the open court on the 26th day of Nov. 2010.

 

 

 

 

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