Madras High Court Income Tax Act 2025 2025-02-19

Commissioner Of Income Tax vs M/S.Indbank Merchant Banking on 19 February, 2025

Section 143 Section 263 Section 36 Section 154 Section 244 Section 115JA Section 148 Section 139 Section 147 Section 260A

Official Judicial Order

Verbatim Judgment

Author: S.S.Sundar

Bench: S.S.Sundar, C.Saravanan

                                                                                                    T.C.A.No.760 of 2008

                                  IN THE HIGH COURT OF JUDICATURE AT MADRAS

                                                     DATED : 19.02.2025

                                                              CORAM :

                                    THE HONOURABLE MR.JUSTICE S.S.SUNDAR
                                                   and
                                   THE HONOURABLE MR.JUSTICE C.SARAVANAN

                                                     T.C.A.No.760 of 2008

                Commissioner of Income Tax,
                Chennai.                                                                     ... Appellant

                                                                      Vs.

                M/s.Indbank Merchant Banking
                    Services Limited,
                 rd
                3 Floor, Krest Building,
                No.2, Jehangir Street,
                Second Line Beach,
                Chennai – 600 001.                                                           ... Respondent

                Prayer: Appeal under Section 260A of the Income Tax Act, 1961, against the
                order of the Income Tax Appellate Tribunal, Madras “A” Bench, Chennai dated
                30.11.2007 in I.T.A.No.915/Mds/2006 for the Assessment Year 1997-1998 and
                for setting aside the same.

                                  For Appellant        : Mr.Avinash Krishnan Ravi
                                                         and Mr.T.Ravikumar
                                                         Senior Standing Counsel

                                  For Respondent       : Mr.G.Baskar



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                                                                                           T.C.A.No.760 of 2008

                                                         JUDGMENT
                                      Heads                                             Amount
                        Amount written off as income                   Rs.5,94,33,892/-

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                                      Heads                                             Amount
                        towards Non-Preferential Assets
                       Lease Income       towards      Lease           Rs.3,50,66,737/-
                       Equalization
                       Total                                           Rs.9,45,00,629/-



                                              Income-tax @ 40%                         Rs. 1,83,67,696/-
                       ADD                    Sur-charge @ 7.5%                        Rs. 13,77,577/-
                                                                                       Rs. 1,97,45,273/-
                       LESS                   TDS credit                               Rs. 24,46,717/-
                                                                                       Rs. 1,72,98,556/-
                       LESS                   Advance tax paid                         Rs. 96,75,000/-
                                              Tax payable                              Rs. 76,23,556/-
                       ADD                    234-B interest                           Rs. 54,88,920/-
                                              234-C interest                           Rs.      1,64,647/-
                                              Tax payable                              Rs. 1,32,77,123/-
                       LESS                   Demand raised under                      Rs. 35,72,030/-
                                              Section 143(1)(a) dated
                                              01.07.1998
                                              Additional Tax                           Rs. 97,05,093/-



                          Grounds        Heading                           Order                 Result
                       Ground No.1   Non-recognition The Assessing Officer is                   Allowed
                       Ground No.2   Expenditure      The Assessing Officer is                  Allowed
                                     relatable     to directed to modify the order.
                                     exempt income    This ground of appeal is
                                                      Allowed.
                       Ground No.3   Disallowance     of Having regard to the sum              Dismissed
                                     depreciation        totality of facts, the Appellate
                                                         Commissioner            therefore
                                                         confirmed the order of the
                                                         Assessing Officer. This ground
                                                         of appeal is Dismissed.
                       Ground No.4   Disallownace      The appellant has not been able         Dismissed
                                     under     Section to file any evidence in support
                                     35D               of this claim at the appeal stage.
                                                       Resultantly, the disallowance
                                                       made is hereby confirmed. This
                                                       ground of appeal is dismissed.
                       Ground No.5   Additional            In the order under appeal, the      Dismissed
                                     Ground                Assessing Officer has addressed
                                                           the issue at great length and

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                          Grounds         Heading                          Order                   Result
                                                           justified the issue of notice
                                                           under Section 148 dated
                                                           16.03.2004. Further it has also
                                                           been found from the records that
                                                           notice under section 143(2) in
                                                           this case was issued on
                                                           24.08.2004 and served on the
                                                           assessee on 26.08.2004 in
                                                           responde     to   which     Shri
                                                           Mukundan, Vice President of
                                                           the company attended the
                                                           hearing before the Assessing
                                                           Officer on 09.09.2004. For the
                                                           reasons stated, the additional
                                                           ground raised is Dismissed.




                                       Heads                                             Amount
                        Total Income                               Rs.1,28,74,400/-
                        Income-tax thereon @ 40%                   Rs. 51,49,760/-
                        Add : Surcharge @ 7.5%                     Rs.       3,86,232/-
                                                                   Rs. 55,35,992/-
                        Less : TDS Credit given                    Rs. 25,76,787/-
                                                                   Rs. 29,59,205/-
                        Less : Advance-tax paid                    Rs. 96,75,000/-
                        Refund                                     Rs. 67,15,795/-
                        Less : 234-C Interest (as per                         NIL
                        143(1)(a) dated 01.07.1998)
                        under Section 143(1)(a) dated
                        01.07.1998
                        Refund                                     Rs. 15,58,835/-
                        Add : Interest under Section 244- Rs.               5,92,344/-
                        A @ 1%
                        Total Refund                               Rs. 21,51,179/-



                                                              [S.S.S.R., J.]                          [C.S.N., J.]

                                                                                        19.02.2025

                Neutral Citation : Yes / No

                arb

                To:

                Commissioner of Income Tax,
                Chennai.

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                                                                                S.S.SUNDAR, J.
                                                                                          and
                                                                             C.SARAVANAN, J.

                                                                                                 arb









                                                                                      19.02.2025