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Issues involved:
The issue involves the disallowance of interest by the Commissioner of Income-tax-III, Ahmedabad for the assessment year 2001-02, and the question of law regarding the confirmation of the order passed by the CIT (A) deleting a portion of the disallowance. Summary: 1. Disallowance of Interest: The Tribunal upheld the disallowance of interest on amounts not used for business purposes, specifically noting payments made for a flat and to an individual. However, the Tribunal found that the interest-free funds available to the assessee exceeded the interest-free advances given, indicating that interest-bearing funds were indeed utilized for business purposes. The Tribunal concluded that the CIT(A) was correct in deleting the disallowance of interest related to business purposes. 2. Legal Decision: Based on the findings of the Appellate Authorities, the High Court determined that no substantial question of law arose from the Tribunal's order. Consequently, the Court summarily dismissed the Tax Appeal filed by the Commissioner of Income-tax-III, Ahmedabad under Section 260A of the Income-tax Act, 1961 for the assessment year 2001-02.
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