2012 (4) TMI 282
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....ying the outstanding amount of Rs. 8/- per share, which worked out to Rs. 5,27,97,016/-. To pay for the conversion cost, the assessee has entered into agreement with M/s. Kitchen Appliances Pvt. Ltd., to avail interest free loan of Rs. 14/- crores and had paid Rs. 28/- lakhs to one Sri. A.S. Krishna Iyer for brokering this loan. The Assessing Officer held that this expenditure was directly attributable to the earning of the dividend income and disallowed the same. He further considered the business expenditure claimed by the assessee and estimated the expenditure incurred by the assessee on earning of the dividend income at Rs. 27,24,330/- under Rule 8D or the Income Tax Rules and disallowed the same as relatable to earning of the exe....
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....s for consideration in this appeal is: Whether the provisions of Section 14A of the Act are applicable to the expenses incurred by the assessee in the course of its business merely because the assessee is also having dividend income when there was no material brought to show that the assessee had incurred expenditure for earning dividend income which is exempted from taxation? 3. The learned Counsel for the assessee assailing the impugned order of the authorities contended that the assessee has incurred expenditure for purchasing shares. 63% of the shares so purchased are sold and the income derived therefrom is offered to tax as business income. The remaining 37% of the shares remained unsold. Those shares yielded dividend. The assessee ....