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        <h1>ITAT Mumbai: Repairs & Maintenance Expenses to be Treated as Revenue Expenditure</h1> The ITAT Mumbai set aside the CIT(A)'s decision and directed the assessing officer to treat Repairs and maintenance expenses as revenue expenditure, not ... Addition of Repairs and maintenance expenses - revenue or capital expenditure - Held that:- There is merit in the submissions of the assessee. Though the Ld D.R strongly defended the order of Ld CIT(A), yet we are convinced that the assessee has incurred the impugned expenses on repair and maintenance of the existing building by replacing flooring and carrying out other works. Accordingly, we are of the view that the impugned expenditure cannot be in the nature of Capital expenditure in the absence of creation of any new asset of enduring nature. Accordingly, we set aside the order of Ld CIT(A) and direct the assessing officer to allow the impugned expenditure as revenue expenditure. Consequent adjustment shall also be made with regard to the depreciation allowed by the assessee. - Decided in favour of assessee Issues:Whether the Ld CIT(A) was justified in upholding the addition of Repairs and maintenance expenses as Capital expenditure.Analysis:The appellate tribunal, ITAT Mumbai, considered the solitary issue of whether the Ld CIT(A) was correct in treating Repairs and maintenance expenses as Capital expenditure. The tribunal heard arguments from both parties and examined the record. The assessee contended that the expenses were solely for repairing and maintaining existing buildings. Detailed expenditure particulars were presented, showing various repair and maintenance works carried out on different buildings. The tribunal observed that the expenses were indeed incurred for repair and maintenance purposes, such as replacing flooring and conducting other necessary works. Despite the strong defense by the Ld D.R supporting the CIT(A)'s decision, the tribunal concluded that the expenses did not result in the creation of any new enduring asset, indicating they should be treated as revenue expenditure. Consequently, the tribunal set aside the CIT(A)'s order and directed the assessing officer to allow the expenses as revenue expenditure, with necessary adjustments for depreciation.The tribunal's analysis focused on the nature of the expenses incurred by the assessee, emphasizing that the expenditure was related to repair and maintenance activities on existing buildings. By examining the detailed breakdown of expenses provided by the assessee, the tribunal found merit in the argument that the expenses were not capital in nature but rather essential for maintaining the current assets. The tribunal highlighted the absence of any new asset creation of enduring nature, which influenced their decision to categorize the expenses as revenue expenditure. This distinction was crucial in determining the treatment of the expenses and overturning the CIT(A)'s decision.In its final ruling, the tribunal allowed the appeal filed by the assessee, emphasizing the nature of the expenses incurred and the absence of new asset creation. By deeming the expenses as revenue expenditure, the tribunal provided relief to the assessee and directed the assessing officer to make necessary adjustments regarding depreciation. The decision showcased a meticulous analysis of the expenditure details and a clear understanding of the distinction between capital and revenue expenses in the context of repair and maintenance activities on existing assets. The tribunal's thorough evaluation led to a favorable outcome for the assessee, highlighting the importance of accurately categorizing expenses for tax purposes.

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