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        <h1>Court Rules Interest on Tax Cannot be Deducted Without Payment</h1> <h3>CIT, Visakhapatnama Versus M/s. The Andhra Sugars Limited, Tanuku</h3> The Court ruled in favor of the Department, holding that interest on tax, duty, or cess is part of the tax liability and cannot be deducted without actual ... Applicability of provisions of section 43B to interest payable on purchase duty - whether interest is a part and parcel of tax liability ? - Held that:- Interest that becomes payable on tax, which is otherwise permissible for deduction under the provisions of the Income-tax Act, while computing the total income, is part of tax, within the meaning of section 43B of the 1961 Act. If the contention of the respondent that the component of interest must be permitted to be deducted just by making a provision and not making actual payment, it will lead to almost a semblance of absurdity. If the actual tax, duty, or cess can be deducted only on payment, it is just un-understandable as to how the interest thereon can be deducted without making payment thereof. Take an instance, where an assessee is placed under obligation to pay the tax, the duty or cess of ₹ 5,00,000 and it remained unpaid for about 5 or 6 years. He cannot make deduction thereof, because it was not paid. If the law, under which the tax, duty or cess is levied, provides for payment of interest, and a substantial amount had accrued on that amount, the assessee may try to get the benefit of deduction of that equivalent amount, without actually paying it by treating as separate and independent of the tax liability. Such a situation may, in fact, lead to absurdity, and courts would never permit it. - Decided in favour of revenue. Issues: Interpretation of Section 43B of the Income-tax Act, 1961 regarding deduction of interest payable on purchase tax.Detailed Analysis:1. Interpretation of Section 43B of the Income-tax Act, 1961:The case involved a dispute regarding the interpretation of Section 43B of the Income-tax Act, 1961, specifically in relation to the deduction of interest payable on purchase tax. The respondent, a sugar factory, claimed a deduction of interest payable on purchase tax for the assessment year 1984-85, despite not having actually paid it. The Assessing Officer disallowed the deduction, leading to an appeal to the Commissioner of Income-tax (Appeals) and subsequently to the Tribunal. The key contention was whether interest could be treated as part of the tax liability or needed to be paid to claim a deduction under Section 43B.2. Judicial Precedents and Interpretation of Relevant Provisions:The Department argued that interest forms part of the actual tax liability and cannot be treated separately. They cited the judgment of the Supreme Court in Mahalakshmi Sugar Mills Co. v. CIT [1980] 123 ITR 429 (SC) to support their position. On the other hand, the respondent contended that Section 43B of the Act specifies deductions that can be claimed only on actual payment, and interest is not included in those categories unless specifically mentioned. The Tribunal had relied on the Mahalakshmi Sugar Mills Co. case, which was related to a different provision of the law, leading to conflicting interpretations.3. Application of Section 43B and Distinction between Tax and Interest:The Court analyzed the provisions of Section 43B of the Income-tax Act, which mandates deductions only on actual payment of specified amounts. The respondent argued that interest should be treated separately from the tax liability, while the Department emphasized that interest is an integral part of the tax obligation. The Court highlighted the distinction between tax, duty, or cess, and interest, noting that Parliament had specifically mentioned interest separately in certain clauses of Section 43B.4. Resolution and Conclusion:After a detailed examination of the arguments and relevant legal provisions, the Court ruled in favor of the Department, holding that interest on tax, duty, or cess is part of the tax liability and cannot be deducted without actual payment. The Court rejected the respondent's contention that interest could be treated independently for the purpose of deductions under Section 43B. The judgment clarified that allowing deductions for interest without actual payment could lead to absurd outcomes and was not permissible under the law.5. Final Decision and Outcome:The Court answered the questions raised in the reference in favor of the Department and against the assessee, thereby resolving the dispute regarding the deduction of interest payable on purchase tax under Section 43B of the Income-tax Act, 1961. The reference was accordingly concluded based on the interpretation of the relevant legal provisions and precedents cited during the proceedings.

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