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1986 (1) TMI 7 - HC - Income Tax

Issues Involved:
The issue involved in this case is whether the revenue expenditure incurred by the assessee in connection with its new divisions is deductible as business expenditure.

Judgment Details:

Unity of Management:
The Appellate Assistant Commissioner found that each production unit is considered a single operational unit under the direction of the corporate Board, with a general manager accountable for the unit as a whole, including its divisions.

Unity of Finances:
Expenses are commonly incurred across all divisions, with monthly allocations made between them. Cash flow and fund control are centralized at the head office, allowing for the adjustment of funds between units as needed.

Unity of Administration:
Administratively, there is total integration and unity, with a common general manager overseeing each unit. Common rules and procedures apply to all employees, allowing for inter-divisional transfers based on workload and job requirements.

Unity of Production:
There is interdependence of production capacity between divisions, ensuring optimal utilization of resources across units.

The Tribunal concurred with the findings of the Appellate Assistant Commissioner, applying the precedent set in B. R. Ltd. v. V. P. Gupta, CIT [1978] 113 ITR 647 (SC) and its own earlier decision. The court upheld the Tribunal's decision, directing the question in favor of the assessee. The Revenue was advised to bear their own costs in this matter.

 

 

 

 

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