Pakistan Case Law← Search
2001 PTD 2774

COMMISSIONER OF INCOME-TAX vs MAHINDRA AND MAHINDRA LTD.

Citation2001 PTD 2774
CourtBombay High Court
Case No.Income-tax Reference No.104 of 1990
Date1997-07-07
Judge(s)B. P. Saraf, Dr. Pratibha Upasani
ResultReference answered

1. By this reference under section 256(1) of the Income Tax Act, 1961, the Income-tax Appellate Tribunal has, at the instance of the Revenue, referred the following questions of law to this Court for opinion: "(1) Whether, on the facts and in the circumstances of the case, the Tribunal was justified in law in holding that notwithstanding the notification issued by the Central Board of Direct Taxes the assessee is entitled to deduction of 100 per cent. Of the initial contribution to the superannuation fund?

(2) Whether, on the facts and in the circumstances of the case, the Tribunal was right in law in directing the Assessing Officer to apply the provisions of section 40(c) instead of section 40A(5) for working out the disallowances out of the remuneration and perquisites paid to the employee- directors?"

2. Counsel for the Revenue submits that the controversy in the first question now stands concluded in favour of the assessee by the decision of this Court in CIT v. Mahindra Sintared Products Ltd. (I.T.R.

3. No.289 of 1980, dated June 14, 1993), and following the same question No.1 should be answered in favour of the assessee.

4. Counsel for the Revenue further submits that controversy in question No.2 also stands concluded in favour of the assessee by the decision of this Court in CIT v. Hico Products (Pvt.) Ltd. (No.1) (1993)

5. 201 ITR 567 and by the decision of the Supreme Court in CIT v. Indian Engg. And Commercial Corporation (P.) Ltd. (1993) 201 ITR 723, and following the same, it should be answered in favour of the assessee.

6. In view of the above statement, both the questions referred to us are answered in the affirmative and in favour of the assessee.

7. Reference disposed of accordingly. No order as to costs. .

For educational and research use only β€” not legal advice. Verify against the official report before relying on it. See our Disclaimer.
DisclaimerΒ·PrivacyΒ·TermsΒ·Search