The assessee wrote off irrecoverable advances made towards rent, telecommunication and other business expenses. The Tribunal held that the amounts represented business losses incurred in the course of business and were allowable as a deduction under section 37(1). (AY. 2014-15).
Birlasoft Ltd. v. Asst. CIT (2025) 127 ITR 63 / 173 taxmann.com 634 (Delhi)(Trib.)
S. 28(i) : Business loss-Business expenditure-Irrecoverable advances written off-Claim allowable as business loss.[S. 37(1)]
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