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        <h1>Assessee's appeal dismissed, Revenue's appeal partly upheld on interest-free loans and insurance claim deduction.</h1> The Tribunal dismissed the appeal of the assessee, upholding the CIT(A)'s decision. The Revenue's appeal was disposed of by affirming the CIT(A)'s order ... Allowability Issues Involved:1. Exemption under Section 10(33) on dividend income.2. Deduction under Section 80-IA in respect of interest income and miscellaneous income.3. Adjustment of unabsorbed depreciation before allowing deduction under Section 80-IA.4. Charging of interest under Section 234B.5. Disallowance of interest on interest-free loans given to sister-concerns.6. Treatment of insurance claim as business receipts for computing deduction under Section 80-IA.Issue-wise Detailed Analysis:1. Exemption under Section 10(33) on Dividend Income:The assessee claimed exemption on dividend income of Rs. 10,33,500 under Section 10(33). The Assessing Officer (AO) disallowed this, stating that the dividend income was received before June 1, 1997, and TDS was not deducted. The Tribunal upheld the AO's decision, referencing Section 115-O read with Section 10(33), which provides exemption only for dividends declared by domestic companies on or after June 1, 1997. Consequently, this ground of the assessee was dismissed.2. Deduction under Section 80-IA in Respect of Interest Income and Miscellaneous Income:The AO disallowed the deduction under Section 80-IA for interest income of Rs. 20,42,542 and miscellaneous income of Rs. 7,90,690. The Tribunal referenced the Supreme Court decision in Pandian Chemicals Ltd. vs. CIT, which held that interest income from deposits with the Electricity Board is not derived from the business of the industrial undertaking. The term 'derived from' requires a direct nexus with the industrial undertaking, which was not present in this case. Thus, the Tribunal dismissed this ground of the assessee.3. Adjustment of Unabsorbed Depreciation Before Allowing Deduction under Section 80-IA:The assessee did not press this ground during arguments. Consequently, the Tribunal dismissed it as not pressed.4. Charging of Interest under Section 234B:The assessee argued that no interest under Section 234B should have been charged in the absence of specific directions, referencing the Supreme Court judgment in CIT vs. Ranchi Club Ltd. However, this ground was not adjudicated in the first appeal and was not pressed during arguments, leading to its dismissal.5. Disallowance of Interest on Interest-Free Loans Given to Sister-Concerns:The AO disallowed interest of Rs. 44,34,980 on interest-free loans given to sister-concerns, arguing that the funds were not used for their intended purpose. The Tribunal, referencing its own earlier decisions in similar cases involving the same assessee, upheld the CIT(A)'s decision to delete the disallowance. The Tribunal noted that the Revenue's representative had previously conceded this issue, and thus, the ground was decided in favor of the assessee.6. Treatment of Insurance Claim as Business Receipts for Computing Deduction under Section 80-IA:The AO disallowed the deduction under Section 80-IA for an insurance claim of Rs. 16,38,501, which the assessee claimed as business receipts derived from the industrial undertaking. The Tribunal referenced several judicial pronouncements, including the Supreme Court's decision in Pandian Chemicals Ltd. vs. CIT, which emphasized that income must have a direct nexus with the industrial undertaking to qualify as 'derived from' it. The Tribunal concluded that the insurance claim could not be considered as derived from the industrial undertaking. However, it directed the AO to recompute the deduction by excluding only the net income arising from the insurance claim, not the gross receipts, following the jurisdictional High Court's observation in the case of Khemka Container (P) Ltd.Conclusion:The Tribunal dismissed the appeal of the assessee and upheld the CIT(A)'s stand. The appeal of the Revenue was disposed of by upholding the CIT(A)'s order on the interest-free loans issue and directing the AO to recompute the deduction for the insurance claim.

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