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1998 (11) TMI 32 - HC - Income Tax

Issues involved: Claim of deduction for cost of gifts made on the occasion of marriage and festive occasions as business expenditure.

Summary:
The High Court of Madras considered a case where the assessee claimed a deduction for the cost of gifts given on the occasion of the marriage of the daughter of the chairman of the company with which he had a business relationship, and for personal gifts on festive occasions to others. The claim was based on commercial exigency for the business. The Income-tax Officer and the Commissioner rejected the claim, but the Tribunal allowed it.

The Revenue argued that gifts made on the occasion of the chairman's family marriage were of a personal nature and not a legitimate business expenditure. They contended that such gifts, if allowed, could lead to excessive claims like gifts of diamond and gold jewelry at weddings of company directors. The court agreed with the Revenue, stating that gifts made on personal occasions like marriages of business associates, friends, and relatives cannot be considered legitimate business expenses. Such gifts are akin to those made by any individual out of taxed income, not for business purposes.

The court emphasized the need to distinguish between business and personal relationships, acknowledging the difficulty in precise demarcation but asserting that gifts at family weddings do not qualify as business expenditure. Therefore, the court ruled in favor of the Revenue, denying the deduction claimed by the assessee.

 

 

 

 

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