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Issues Involved:
1. Penalty u/s 271(1)(c) for AY 2001-02 and 2002-03. 2. Deduction on account of personal gifts to doctors for AY 2008-09. 3. Allocation of overhead expenses to Baddi Unit entitled for deduction u/s 80IC for AY 2008-09. Summary: Issue 1: Penalty u/s 271(1)(c) for AY 2001-02 and 2002-03 The assessee, a pharmaceutical company, filed returns for AY 2001-02 and 2002-03 declaring total incomes of Rs. 1,52,74,577/- and Rs. 3,35,34,532/- respectively, with book profits u/s 115JB at Rs. 12,67,26,080/- and Rs. 16,19,05,671/-. The AO computed higher total incomes but held the assessee liable to pay tax on book profits. Additions sustained included deductions u/s 80-IB, 80-HHC, foreign travel expenses, and disallowance u/s 14A. The AO issued notices u/s 271(1)(c) for penalty, which the CIT(A) cancelled, citing no concealment or inaccurate particulars by the assessee, referencing Reliance Petro Products P. Ltd. The Tribunal upheld the CIT(A)'s order, noting that tax payable on book profit u/s 115JB exceeded tax on total income under normal provisions, making additions irrelevant for penalty u/s 271(1)(c), following CIT vs. Nalwa Sons Investment Ltd. Issue 2: Deduction on account of personal gifts to doctors for AY 2008-09 The AO disallowed expenses on personal gifts to doctors, invoking Explanation to section 37(1) and Indian Medical Council regulations. The CIT(A) deleted the disallowance, following the Tribunal's earlier orders in the assessee's favor. The Tribunal upheld the CIT(A)'s decision but modified it to disallow 25% of personalized sales promotion expenses and 15% of gifts to doctors, citing unverifiable elements, consistent with prior years' decisions. Issue 3: Allocation of overhead expenses to Baddi Unit entitled for deduction u/s 80IC for AY 2008-09 The AO reallocated common expenses to the Baddi unit on a prorate basis, reducing the deduction u/s 80IC. The CIT(A) accepted the assessee's allocation method, referencing prior Tribunal decisions. The Tribunal upheld the CIT(A)'s order, noting consistency with earlier years where the AO's reallocation basis was rejected, and the assessee's method was accepted. Conclusion: The appeals for AY 2001-02 and 2002-03 were dismissed, and the appeal for AY 2008-09 was partly allowed. The Tribunal's decisions were pronounced on 23rd October 2012.
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