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        2018 (5) TMI 40 - AT - Income Tax

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        ITAT decision: Assessments for AY 2011-12 & 2012-13, Rule 8D2(iii) applied, interest income as business income The ITAT partly allowed the assessee's appeals for Assessment Years 2011-12 and 2012-13, dismissing the Revenue's appeal. The judgment highlighted the ...
                      Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.

                          ITAT decision: Assessments for AY 2011-12 & 2012-13, Rule 8D2(iii) applied, interest income as business income

                          The ITAT partly allowed the assessee's appeals for Assessment Years 2011-12 and 2012-13, dismissing the Revenue's appeal. The judgment highlighted the necessity of considering only dividend yielding investments for disallowance under Rule 8D2(iii). Additionally, it upheld the assessment of interest income received by the assessee as business income, citing consistency in assessments and legal principles.




                          Issues:
                          1. Disallowance under Rule 8D of the Income Tax Rules for Assessment Year 2011-12.
                          2. Assessment of interest income received by the assessee as business income or income from other sources.

                          Issue 1: Disallowance under Rule 8D for Assessment Year 2011-12:
                          The Assessing Officer disallowed &8377;38,04,497 under Rule 8D2(iii) r.w.s. 14A of the Act. The Ld.CIT(A) deleted the interest disallowance under Rule 8D2(ii) but sustained the disallowance under Rule 8D2(iii). The assessee argued that only dividend yielding investments should be considered for computing the disallowance under Rule 8D2(iii), citing the decision of a Special Bench. The ITAT directed the Assessing Officer to recompute the disallowance under Rule 8D2(iii) considering only dividend yielding investments, as per the Special Bench decision. This ground was partly allowed.

                          Issue 2: Assessment of interest income received by the assessee:
                          The dispute revolved around whether the interest income received by the assessee should be assessed as business income or income from other sources. The Assessing Officer treated the interest received as income from other sources, while the assessee claimed it to be income from business. The Ld.CIT(A) held that the interest received should be assessed under the head income from business, citing consistency in assessments for previous years and a relevant High Court decision. The ITAT upheld the decision of the Ld.CIT(A), emphasizing the principle of consistency and the absence of a money lending license as not precluding business income from money lending activities. The interest income of &8377;25,26,58,443 received by the appellant was deemed as business income, and the grounds raised by the Revenue were dismissed.

                          Conclusion:
                          The ITAT partly allowed the appeals of the assessee for both Assessment Years 2011-12 and 2012-13, while dismissing the appeal of the Revenue. The judgment emphasized the importance of considering only dividend yielding investments for disallowance under Rule 8D2(iii) and upheld the assessment of interest income received by the assessee as business income based on consistency in assessments and legal principles.
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                          ActsIncome Tax
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