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2013 (2) TMI 375 - HC - Income TaxCorporate membership fee paid to Golf Club - Capital v/s Revenue expenditure - Held that:- The nature of the expenditure incurred by the assessee cannot be said to be a capital expenditure. The corporate membership of Rs.6 lacs was for a limited period of 5 years. The corporate membership was obtained for running the business with a view to produce profit. Such membership does not bring into existence an asset or an advantage for the enduring benefit of the business. It is an expenditure incurred for the period of membership and is not long lasting. By subscribing to the membership of a club, no capital asset is created or comes into existence. By such membership, a privilege to use facilities of a club alone, are conferred on the assessee and that too for a limited period. Such expenses are for running the business with a view to produce the benefits to the assessee. Consequently, it cannot be treated as capital asset - in favour of assessee.
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