S.37(1): Business expenditure-Interest paid on delayed remittance of tax-Not allowable as deduction.
Spicejet Ltd. v. Add. CIT (2023)102 ITR 58 (Delhi)(Trib)S.37(1): Business expenditure-Interest paid on delayed remittance of tax-Not allowable as deduction.
Spicejet Ltd. v. Add. CIT (2023)102 ITR 58 (Delhi)(Trib)S. 37(1): Business expenditure-Capital or revenue-Depreciation-Computer software-Ticketing system for Airlines-Enduring nature-Capital expenditure-Entitled to depreciation at 60 Per Cent. [S. 32]
Spicejet Ltd. v. Add. CIT (2023)102 ITR 58 (Delhi)(Trib)S.37(1): Business expenditure-Failure to deduct tax at source–Royalty-Matter remanded-DTAA-India-Netherlands-Cash credits-Share capital matter remanded-Office repairs and maintenance-Matter remanded-Disallowance of expenditure in relation to exempt income-Income from dividend-Matter remanded to verify assessee’s claim of income being exempt.[S.14A, 40(a)(i),68, 195]
Spicejet Ltd. v. Add. CIT (2023)102 ITR 58 (Delhi)(Trib)S.37(1): Business expenditure-Interest paid on delayed remittance of tax-Not allowable as deduction.
Spicejet Ltd. v. Add. CIT (2023)102 ITR 58 (Delhi)(Trib)S.37(1): Business expenditure-Wages is allowed in the year of final settlement and on actual payment only.[S. 145]
Gujarat State Fertilizers & Chemicals Ltd v. DCIT (2023) 102 ITR 76 (SN) (Ahd.)(Trib.)S. 37(1) : Business expenditure-Project abandoned-Joint venture project-Expenditure incurred relating to a joint venture project later abandoned is allowable in so far as the expenditure is incurred by the Assessee itself and not the joint venture entity.
Gujarat State Fertilizers & Chemicals Ltd v. DCIT (2023) 102 ITR 76 (SN) (Ahd.)(Trib.)S.37(1): Business expenditure-Administrative expenses-No business activity-Insurance premium-Allowable as deduction.
Oceanic Vehicles Pvt. Ltd. v. DCIT (2023) 102 ITR 70 (SN) (Ahd.)(Trib.)S. 36(1)(xii) :Corporation or body corporate-Central or State or Provisional Act-Business expenditure–Absence of notification in the relevant year-Not allowable as deduction. [S.37(1)]
Dy. CIT v. National Bank for Agriculture & Rural Development [2023] 221 TTJ 25 /221 DTR 369 (Mum) (Trib)S.36(1)(iii): Interest on borrowed capital-Interest free advances have been given by out of his own fund-No disallowance can be made.
Aaryavart Impex (P) Ltd. v. ACIT (2023) 221 TTJ 817 /151 taxmann.com 22 (Ahd)(Trib)S. 35 : Expenditure on scientific research-Weighted deduction-Contribution towards research in social science or statistical research & Eligible projects-no opportunity to the assessee to rebut the reports of Investigation Wing on statements recorded of third party or to cross examine such third party-held, violation of principles of natural justice-Deduction allowed. [S. 35(1)(iii), 35AC]
Gajraj Tradecom Pvt. Ltd. v. DCIT (2023) 102 ITR 80 (SN)/200 ITD 74 (Kol)(Trib)