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2018 (6) TMI 1862 - AT - Income Tax


ISSUES PRESENTED and CONSIDERED

The core legal questions considered in the judgment include:

  • Whether the assessee is entitled to claim depreciation over and above the exemptions granted under Section 11 and 12 of the Income Tax Act.
  • Whether the assessee's claim for exemption under Section 11 was valid despite not being claimed in the original return of income and subsequent procedural issues.
  • Whether the assessee's investments met the criteria under Section 13(1)(d)(iii) to qualify for exemption under Section 11.
  • Whether the assessee's accounting treatment of prior period income and expenses was permissible.
  • Whether the assessee's claim for carried forward losses and set-off was justified.
  • Whether the CIT(A) erred in allowing or disallowing various claims and adjustments made by the Assessing Officer.

ISSUE-WISE DETAILED ANALYSIS

Depreciation Claim Over and Above Section 11 and 12 Exemptions

  • Legal Framework and Precedents: The issue of depreciation claim alongside Section 11 and 12 exemptions was settled by the Supreme Court in CIT Vs Rajasthan and Gujarati Charitable Foundation, which allowed such claims.
  • Court's Interpretation and Reasoning: The Court noted that the Supreme Court had clarified that depreciation can be claimed even when capital expenditure is treated as application of income for charitable purposes.
  • Conclusion: The Court directed the Assessing Officer to grant the depreciation claim, aligning with the Supreme Court's judgment.

Exemption under Section 11

  • Legal Framework and Precedents: The applicability of Section 11 exemptions despite procedural lapses was considered in light of the Supreme Court's decision in Goetze India Ltd Vs CIT, which restricts new claims without revised returns but not at the appellate stage.
  • Court's Interpretation and Reasoning: The CIT(A) and Tribunal found that procedural lapses like filing the audit report late did not invalidate the exemption claim, especially since the Tribunal had remitted the matter for reconsideration.
  • Conclusion: The CIT(A)'s decision to uphold the exemption under Section 11 was affirmed.

Investments under Section 13(1)(d)(iii)

  • Legal Framework and Precedents: Section 13(1)(d)(iii) requires investments in specified modes for exemption under Section 11.
  • Court's Interpretation and Reasoning: The CIT(A) found that the investments in Kutch Railways and Petronet were in public sector undertakings, thus complying with Section 13(1)(d)(iii).
  • Conclusion: The CIT(A)'s decision to uphold the exemption was affirmed, as the investments were in compliance with the required provisions.

Prior Period Income and Expenses

  • Legal Framework and Precedents: The treatment of prior period income and expenses in accounting was considered, with reference to the Supreme Court's guidance on rectification under Section 154.
  • Court's Interpretation and Reasoning: The Tribunal agreed with the CIT(A) that rectification under Section 154 was inappropriate for disallowing prior period expenses, as the issue was debatable.
  • Conclusion: The rectification order was quashed, and the CIT(A)'s decision to allow prior period expenses was upheld.

Carried Forward Losses and Set-Off

  • Legal Framework and Precedents: The set-off of carried forward losses was considered in light of the rectification order's quashing.
  • Court's Interpretation and Reasoning: The Tribunal directed the Assessing Officer to allow the set-off of losses, as the rectification order was invalidated.
  • Conclusion: The appeal of the assessee regarding carried forward losses was allowed.

SIGNIFICANT HOLDINGS

  • The Tribunal affirmed the principle that depreciation can be claimed alongside Section 11 exemptions, following the Supreme Court's precedent.
  • The Tribunal upheld the CIT(A)'s decisions on procedural lapses not invalidating exemption claims, investments complying with Section 13(1)(d)(iii), and the treatment of prior period items.
  • The Tribunal quashed the rectification order under Section 154, emphasizing that debatable issues cannot be rectified under this provision.
  • The Tribunal directed the allowance of carried forward losses, reinforcing the principle that procedural errors should not negate substantive claims.

 

 

 

 

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