Apollo Tyres Ltd. v. ACIT (2021) 438 ITR 536/ 283 Taxman 427 (Ker.)(HC)

S. 37(1) : Business expenditure-Provision for commission-Ad-hoc basis-Not deductible.

The disallowance of commission was upheld by the Tribunal after considering all the facts. This was a finding of fact upon re-examination of all circumstances. Hence, there was no question of law, much less a substantial question of law, warranting interference. The provision for commission was not deductible. (AY. 2009-10)