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Tribunal Upholds CIT (A) Order on Section 80IA Deduction Eligibility The tribunal upheld the CIT (A) order, dismissing revenue appeals and assessee C.Os. regarding eligibility of deduction u/s 80IA for infrastructure ...
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Tribunal Upholds CIT (A) Order on Section 80IA Deduction Eligibility
The tribunal upheld the CIT (A) order, dismissing revenue appeals and assessee C.Os. regarding eligibility of deduction u/s 80IA for infrastructure facility. Despite revenue's argument on work not meeting new infrastructure criteria, tribunal, citing consistency in past allowance, upheld CIT (A) decision. Tribunal noted no factual difference from prior cases where deduction was allowed, rejecting revenue's partial allowance stance. Emphasizing the principle of consistency and past approvals, tribunal found in favor of the assessee, affirming the CIT (A) decision and dismissing all appeals and C.Os.
Issues: Appeals filed by revenue against CIT (A) orders for A.Y. 2013-14 & 2014-15; Claim u/s 80IA eligibility for infrastructure facility; Consistency principle in allowing deduction.
Analysis: The appeals were filed by the revenue against the CIT (A) orders for the assessment years 2013-14 and 2014-15. The main contention raised by the revenue was regarding the eligibility of the claim u/s 80IA for the infrastructure facility. The revenue argued that the work performed by the assessee did not fall within the definition of a new infrastructure facility as per CBDT Circular No. 4/2010. On the other hand, the assessee supported the order of the CIT (A) through various grounds raised in the C.Os. The learned AR of the assessee pointed out the consistency in allowing the deduction u/s 80IA in earlier years and cited relevant tribunal orders to support the claim. The revenue, however, failed to point out any factual differences or rebut the principle of consistency.
The tribunal examined the facts and noted that the CIT (A) had followed two tribunal orders in similar cases where the deduction u/s 80IA was in dispute for infrastructure work. The tribunal found no difference in facts between those cases and the present case. The AO had allowed the claim partially, holding that only 50% of the profit was eligible for deduction due to the nature of the work undertaken. However, considering the principle of consistency and the fact that in earlier years, the AO had allowed the claim of the assessee, the tribunal upheld the order of the CIT (A) and dismissed the appeals of the revenue and the C.Os. of the assessee.
In conclusion, the tribunal found no infirmity in the order of the CIT (A) and declined to interfere based on the principle of consistency in allowing the deduction u/s 80IA. The appeals filed by the revenue and the C.Os. filed by the assessee were dismissed, and the tribunal pronounced the order in the open court as per the mentioned date.
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