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2011 (8) TMI 1256 - AT - Income Tax

Issues involved:
The judgment involves issues related to disallowances/additions made by the Assessing Officer, allowing carry forward business losses, deletion of addition of Net Present Value (NPV) treated as capital expenditure, and proceedings initiated u/s.147/148 for recomputing losses.

ITA No.76/CTK/2010 (Assessment Year 2002-03):
The Revenue appealed against the direction of the CIT(A) to allow carry forward business losses, which were previously treated as invalid due to a delay in filing the return. The Tribunal found that the Assessing Officer had rectified the defect in the return filing process and computed the income accordingly. The CIT(A) clarified that the Tribunal's direction was to be followed as per law, and not to be revisited under Section 154. The Tribunal upheld the CIT(A)'s decision, dismissing the Revenue's appeal.

ITA No.240/CTK/2010 (Assessment Year 2004-05):
The Revenue challenged the deletion of an addition of NPV treated as capital expenditure by the Assessing Officer. The Tribunal noted that the payment of NPV was for environmental protection and did not confer proprietary rights to the assessee. Citing previous case laws and a Supreme Court directive, the Tribunal agreed with the CIT(A) that the payment was revenue in nature and provided long-term benefits to future generations. The Revenue's appeal was dismissed.

ITA No.266/CTK/2010 (Assessment Year 2004-05):
Similar to the previous year, the Revenue disputed the recomputation of losses by the Assessing Officer under Section 147/148. The Tribunal observed that the initiation of proceedings under Section 147 was not justified based on the denial of delay condonation by the CBDT. The CIT(A) had correctly considered the relief granted by the ITAT and upheld the general direction regarding carry forward/set off of losses. The Tribunal upheld the CIT(A)'s decision, dismissing the Revenue's appeal.

In conclusion, all the appeals of the Revenue were dismissed by the Tribunal on 12.08.2011.

 

 

 

 

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