[ITR] ITR Volume 352 Part 5 (Issue dated 6-5-2013)
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INCOME TAX REPORTS (ITR)
Volume 352 Part 5
(Issue dated 6-5-2013)
SUBJECT INDEX TO CASES
REPORTED IN THIS PART
HIGH COURTS
Appeal to High Court
--Substantial question of law--Concession recorded during course of
hearing--Not to be disputed in appeal--Income-tax Act, 1961, s. 260A-- Dr.
Gurvinder Singh Randhawav . CIT (P&H) . . . 616 Business expenditure
--Accounting--Expenses under heads provision for completed expenses and
expenses incurred on completed projects --Allowable--Income-tax Act, 1961--
CITv . Ansal Properties and Industries Ltd . (Delhi) .
. . 637 ----Disallowance--Maintenance of
accommodation for employees and executives for duration of projects outside India--Intention
of employer not to provide for guest house--Expenses allowable--Income-tax Act,
1961, s. 37(4), (5)-- CITv . Ansal Properties and
Industries Ltd . (Delhi) . . . 637 ----Warranty--Provision for
installation and service charges payable under warranty in respect of office
equipment--Provision not made on any scientific data and past experience--Not
allowable--Income-tax Act, 1961, s. 37-- CITv . Forbes
Campbell Finance Ltd. (Mad) . . . 602 Capital gains
--Long-term capital gains--Principle of owelty--Family settlement--Payment to
assessee to compensate inequalities in partition of assets--Amount paid is
immovable property--No capital gains arise--Income-tax Act, 1961-- CITv.Ashwani Chopra (P&H) . . . 620 ----Transfer--Disputes among family
members--Arbitration and family arrangement--Adjustment of shares among family
members does not amount to transfer within the meaning of section 45--No
capital gains arises--Income-tax Act, 1961, s. 45-- CITv.R.
Nagaraja Rao (Karn) . . . 565 Depreciation --Motor
cars used outside India for business and commercial activities--Expenses for
upkeeping vehicles--Entitled to depreciation--Income-tax Act, 1961, s.
32(1)(ii)-- CITv . Ansal Properties and Industries Ltd
. (Delhi) . . . 637 Export --Special
deduction--Addition on account of surrendering amount as income on account of
excess valuation of closing stock--Concurrent finding that assessee satisfied
condition for grant of deduction to the extent of excess closing stock
valuation--Assessee entitled to deduction--Income-tax Act, 1961, s. 80HHC--
CITv . Haswani Arts (Raj) . . . 574 Income
--Disallowance of expenditure in earning tax-free income--Assessee using its
own funds for investments in shares and using borrowed funds entirely for its
business purposes--No finding that any expenditure by way of interest was
incurred in respect of investments--Disallowance under section 14A not
justified--Income-tax Act, 1961, s. 14A-- CITv . Gujarat
Power Corporation Ltd . (Guj) . . . 583 Infrastructure facility
--Special deduction--Explanation that person executing works contract not
eligible for deduction--Intrinsic difference between developing infrastructure
facility and executing works contract--Explanation clarificatory--Introduction
in 2009 with effect from 2000--Not a case of retrospective levy or withdrawal
of deduction with retrospective effect--Valid--Income-tax Act, 1961, s.
80-IA(4), (13), Expln.-- Katira Construction Ltd.v . Union
of India (Guj) . . . 513 Interpretation of taxing
statutes --Explanation--Scope of-- Katira Construction Ltd
. v . Union of India (Guj) . . . 513 Legislative powers
--Parliament--Taxation--Power to legislate with retrospective effect--
Katira Construction Ltd . v . Union of India (Guj) . . .
513 Penalty --Excess claim
to depreciation--Wrong claim to loss as revenue expenditure--Mistakes rectified
during assessment proceedings since time to file revised return expired--No
dispute that mistake bona fide--No penalty leviable--Income-tax Act, 1961, s.
271(1)(c)-- CITv.Somany Evergree Knits Ltd . (Bom)
. . . 592 ----Furnishing inaccurate
particulars--Property held as stock-in-trade--Conversion of stock-in-trade into
investment just before sale of property to pay lower tax--Furnishing inaccurate
particulars of income--Levy of penalty justified--Income-tax Act, 1961, s.
271(1)(c)-- CITv.Splender Construction (Delhi) . .
. 588 Reassessment
--Condition precedent--Tangible material regarding escapement of income--Reason
for notice must be given and objections disposed of by speaking order--Special
deduction under section 80-IB(10) granted in original assessment--Reassessment
withdrawing special deduction--Objections not heard--Order of reassessment--Not
valid--Income-tax Act, 1961, ss. 80-IB(10), 147, 148-- Vishwanath Engineers
v . Asst. CIT (Guj) . . . 549 ----Writ--Existence of alternative
remedy--Not an absolute bar for issue of writ--Appeal subsequent to filing of
writ petition--Petition admitted and affidavit filed--Writ petition could not
be dismissed--Income-tax Act, 1961, s. 148--Constitution of India, art. 226--
Vishwanath Engineersv . Asst. CIT (Guj) . . . 549 Residence
--Conditions precedent for considering Indian citizen or person of Indian
origin a resident--Residence in India for a period exceeding 365 days in the
immediately preceding four years and residence during previous year for period
of 182 days--Conditions cumulative--Individual residing in India for more than
365 days in immediately preceding four years but residing for less than 182
days in previous year--Not a resident--Income-tax Act, 1961, s. 6-- CITv . Suresh Nanda (Delhi) . . . 611 Search and seizure
--Retention of seized assets--Dispute between assessee and its partners regarding
ownership of seized jewellery--Suit pending before civil court--High Court
setting aside order of Commissioner entrusting jewellery to one partner and
remanding matter for redetermination--Order of Commissioner treating jewellery
as belonging to one partner and levying interest under section 220(2)--Power of
Commissioner to waive or reduce interest--Matter remanded--Income-tax Act,
1961, ss. 132, 132B, 220(2)--R oxy Industrial Corporationv.CIT
(P&H) . . . 569 Settlement of cases
--Settlement Commission--Power of review--Rectification of mistakes--Order of
Commission charging interest contrary to Circular and decision of Supreme
Court--Revision of order by way of rectification--Impermissible--Income-tax
Act, 1961, ss. 154, 245D-- Smt. U. Narayanammav.Government
of India
(AP) . . . 598 Undisclosed income
--Assessee a surgeon--Addition on account of undisclosed surgeries--Tribunal
reducing average rate of surgery than that declared by assessee--Average rate
of surgery based upon number of surgeries performed by assessee in one year and
income earned therefrom--Assessee not entitled to contend that flat rate
applied by Tribunal arbitrary--Income-tax Act, 1961-- Dr. Gurvinder Singh
Randhawav . CIT (P&H) . . . 616 Unexplained investment
--Investment in property--No evidence that extra consideration
received--Addition to income based solely on report of District Valuation
Officer--Not valid--Income-tax Act, 1961, s. 69B-- CITv . Sadhna
Gupta
(Delhi) . . . 595 ----Unexplained expenditure--Effect
of section 69B--Condition precedent for application of provision--No evidence
to establish understatement of purchase price--No addition by treating
investment as undisclosed--Wealth-tax Act, 1957, Sch. III, r. 3--Income-tax
Act, 1961, s. 69B-- CITv . Dinesh Jain (HUF)
(Delhi) . . . 629
SECTIONWISE INDEX TO CASES REPORTED IN THIS
PART Constitution of India : Art. 226
--Reassessment--Writ--Existence of alternative remedy--Not an absolute bar for
issue of writ--Appeal subsequent to filing of writ petition--Petition admitted
and affidavit filed--Writ petition could not be dismissed-- Vishwanath
Engineersv . Asst. CIT (Guj) . . . 549 Income-tax Act, 1961 : S. 6
--Residence--Conditions precedent for considering Indian citizen or person of
Indian origin a resident--Residence in India for a period exceeding 365 days in
the immediately preceding four years and residence during previous year for
period of 182 days--Conditions cumulative--Individual residing in India for
more than 365 days in immediately preceding four years but residing for less
than 182 days in previous year--Not a resident-- CITv . Suresh
Nanda (Delhi) . . . 611 S. 14A
--Income--Disallowance of expenditure in earning tax-free income--Assessee
using its own funds for investments in shares and using borrowed funds entirely
for its business purposes--No finding that any expenditure by way of interest
was incurred in respect of investments--Disallowance under section 14A not
justified-- CITv . Gujarat Power Corporation Ltd .
(Guj) . . . 583 S. 32(1)(ii)
--Depreciation--Motor cars used outside India for business and commercial
activities--Expenses for upkeeping vehicles--Entitled to depreciation-- CITv . Ansal Properties and Industries Ltd . (Delhi) . . . 637 S. 37 --Business
expenditure--Warranty--Provision for installation and service charges payable
under warranty in respect of office equipment--Provision not made on any
scientific data and past experience--Not allowable-- CITv . Forbes
Campbell Finance Ltd. (Mad) . . . 602 S. 37(4) --Business
expenditure--Disallowance--Maintenance of accommodation for employees and
executives for duration of projects outside India--Intention of employer not to
provide for guest house--Expenses allowable-- CITv . Ansal
Properties and Industries Ltd . (Delhi) . . . 637 S. 37(5) --Business
expenditure--Disallowance--Maintenance of accommodation for employees and
executives for duration of projects outside India--Intention of employer not to
provide for guest house--Expenses allowable-- CITv . Ansal
Properties and Industries Ltd . (Delhi) . . . 637 S. 45 --Capital
gains--Transfer--Disputes among family members--Arbitration and family
arrangement--Adjustment of shares among family members does not amount to
transfer within the meaning of section 45--No capital gains arises-- CITv.R. Nagaraja Rao (Karn) . . . 565 S. 69B
--Unexplained investment--Investment in property--No evidence that extra
consideration received--Addition to income based solely on report of District
Valuation Officer--Not valid-- CITv . Sadhna Gupta
(Delhi) . . . 595 ----Unexplained
investment--Unexplained expenditure--Effect of section 69B--Condition precedent
for application of provision--No evidence to establish understatement of
purchase price--No addition by treating investment as undisclosed-- CITv . Dinesh Jain (HUF) (Delhi) . . . 629 S. 80HHC
--Export--Special deduction--Addition on account of surrendering amount as
income on account of excess valuation of closing stock--Concurrent finding that
assessee satisfied condition for grant of deduction to the extent of excess
closing stock valuation--Assessee entitled to deduction-- CITv
. Haswani Arts (Raj) . . . 574 S. 80-IA(4)
--Infrastructure facility--Special deduction--Explanation that person executing
works contract not eligible for deduction--Intrinsic difference between
developing infrastructure facility and executing works contract--Explanation
clarificatory--Introduction in 2009 with effect from 2000--Not a case of
retrospective levy or withdrawal of deduction with retrospective
effect--Valid-- Katira Construction Ltd.v . Union of
India (Guj) . . . 513 S. 80-IA(13), Expln.
--Infrastructure facility--Special deduction--Explanation that person executing
works contract not eligible for deduction--Intrinsic difference between
developing infrastructure facility and executing works contract--Explanation
clarificatory--Introduction in 2009 with effect from 2000--Not a case of
retrospective levy or withdrawal of deduction with retrospective effect--Valid--
Katira Construction Ltd.v . Union of India (Guj) . . .
513 S. 80-IB(10)
--Reassessment--Condition precedent--Tangible material regarding escapement of
income--Reason for notice must be given and objections disposed of by speaking
order--Special deduction under section 80-IB(10) granted in original
assessment--Reassessment withdrawing special deduction--Objections not
heard--Order of reassessment--Not valid-- Vishwanath Engineers v . Asst.
CIT (Guj) . . . 549 S. 132 --Search and
seizure--Retention of seized assets--Dispute between assessee and its partners
regarding ownership of seized jewellery--Suit pending before civil court--High
Court setting aside order of Commissioner entrusting jewellery to one partner
and remanding matter for redetermination--Order of Commissioner treating
jewellery as belonging to one partner and levying interest under section
220(2)--Power of Commissioner to waive or reduce interest--Matter remanded--R
oxy Industrial Corporationv.CIT (P&H) . . . 569 S. 132B --Search
and seizure--Retention of seized assets--Dispute between assessee and its
partners regarding ownership of seized jewellery--Suit pending before civil
court--High Court setting aside order of Commissioner entrusting jewellery to
one partner and remanding matter for redetermination--Order of Commissioner
treating jewellery as belonging to one partner and levying interest under
section 220(2)--Power of Commissioner to waive or reduce interest--Matter
remanded--R oxy Industrial Corporationv.CIT
(P&H) . . . 569 S. 147
--Reassessment--Condition precedent--Tangible material regarding escapement of
income--Reason for notice must be given and objections disposed of by speaking
order--Special deduction under section 80-IB(10) granted in original assessment--Reassessment
withdrawing special deduction--Objections not heard--Order of reassessment--Not
valid-- Vishwanath Engineers v . Asst. CIT (Guj) . . . 549 S. 148
--Reassessment--Condition precedent--Tangible material regarding escapement of
income--Reason for notice must be given and objections disposed of by speaking
order--Special deduction under section 80-IB(10) granted in original
assessment--Reassessment withdrawing special deduction--Objections not
heard--Order of reassessment--Not valid-- Vishwanath Engineers v . Asst.
CIT (Guj) . . . 549 ----Reassessment--Writ--Existence
of alternative remedy--Not an absolute bar for issue of writ--Appeal subsequent
to filing of writ petition--Petition admitted and affidavit filed--Writ
petition could not be dismissed-- Vishwanath Engineersv . Asst.
CIT (Guj) . . . 549 S. 154 --Settlement
of cases--Settlement Commission--Power of review--Rectification of
mistakes--Order of Commission charging interest contrary to Circular and
decision of Supreme Court--Revision of order by way of
rectification--Impermissible-- Smt. U. Narayanammav.Government
of India (AP) . . . 598 S. 220(2) --Search
and seizure--Retention of seized assets--Dispute between assessee and its partners
regarding ownership of seized jewellery--Suit pending before civil court--High
Court setting aside order of Commissioner entrusting jewellery to one partner
and remanding matter for redetermination--Order of Commissioner treating
jewellery as belonging to one partner and levying interest under section
220(2)--Power of Commissioner to waive or reduce interest--Matter remanded--R
oxy Industrial Corporationv.CIT (P&H) . . . 569 S. 245D
--Settlement of cases--Settlement Commission--Power of review--Rectification of
mistakes--Order of Commission charging interest contrary to Circular and
decision of Supreme Court--Revision of order by way of
rectification--Impermissible-- Smt. U. Narayanammav.Government
of India (AP) . . . 598 S. 260A --Appeal to
High Court--Substantial question of law--Concession recorded during course of
hearing--Not to be disputed in appeal-- Dr. Gurvinder Singh Randhawav
. CIT (P&H) . . . 616 S. 271(1)(c)
--Penalty--Excess claim to depreciation--Wrong claim to loss as revenue expenditure--Mistakes
rectified during assessment proceedings since time to file revised return
expired--No dispute that mistake bona fide--No penalty leviable-- CITv.Somany Evergree Knits Ltd . (Bom) . . . 592 ----Penalty--Furnishing inaccurate
particulars--Property held as stock-in-trade--Conversion of stock-in-trade into
investment just before sale of property to pay lower tax--Furnishing inaccurate
particulars of income--Levy of penalty justified-- CITv.Splender
Construction (Delhi) . . . 588 Wealth-tax Act, 1957 : Sch. III, r. 3
--Unexplained investment--Unexplained expenditure--Effect of section
69B--Condition precedent for application of provision--No evidence to establish
understatement of purchase price--No addition by treating investment as undisclosed--
CITv . Dinesh Jain (HUF) (Delhi) . . . 629 ITR’S TRIBUNAL TAX REPORTS (ITR (TRIB))
--
Posted By Rajkumar to ITR at 5/04/2013 12:30:00 AM