Home
Issues involved: Application u/s 256(2) of the Income-tax Act, 1961 regarding the taxability of unclaimed liabilities written back to profit and loss account under section 41(1).
Judgment Summary: The High Court of BOMBAY heard an application u/s 256(2) of the Income-tax Act, 1961, pertaining to the assessment years 1976-77 and 1977-78. The Tribunal rejected an application raising questions of law, leading to this appeal. The main question was whether unclaimed liabilities written back to profit and loss account are taxable u/s 41(1) of the Income-tax Act, considering the liabilities ceased by operation of the law of limitation. The Department argued that section 41(1) applied as the assessee had previously benefited from deductions related to the unclaimed liabilities and had written them off. However, the Tribunal disagreed, stating that writing back the balances did not mean the liabilities had ceased to exist, hence section 41(1) was not applicable. The Court considered whether there was remission or cessation of the liabilities during the relevant years, even if the balances represented trading liability and deductions were taken. Mere expiry of the law's limitation period or unilateral write-back by the assessee did not imply remission or cessation of the liability. Without evidence showing the assessee's intention to not honor the debts after writing back the liabilities, the Tribunal's decision aligns with the court's precedent in J. K. Chemicals Ltd. v. CIT [1966] 62 ITR 34. Consequently, the Court upheld the Tribunal's decision, discharging the rule with no costs incurred.
|