LAWS(MAD)-1996-11-12

SIVANANDA STEELS LIMITED Vs. COMMISSIONER OF INCOME TAX

Decided On November 07, 1996
SIVANANDA STEELS LTD. Appellant
V/S
COMMISSIONER OF INCOME-TAX Respondents

JUDGEMENT

(1.) AT the instance of the assessee, the Tribunal referred the following question, for the opinion of this court, under section 256(1) of the Income-tax Act, 1961, for the assessment years 1975-76 and 1976-77 :

(2.) THE assessee is a public limited industrial company. It had borrowed a loan for financing the import of machinery from West Germany. THE repayment of the loan was to be made in instalments spread over several years. On account of fluctuations in the exchange rate, the amount of instalments repaid in the period relevant to the assessment year 1975-76 was greater than the amount of the instalments agreed upon at the time of borrowal by a firm (sic) of Rs. 93,223 and for the assessment year 1976-77 by Rs. 1,13,085. THE assessee claimed these amounts as revenue expenditure. THE Income-tax Officer in nature (sic). On appeal, the Tribunal, following an earlier Special Bench order of the Tribunal of the Bombay Bench, held that the amount claimed by the assessee is capital in nature. In T.C. Nos. 87 and 88 of 1984 in the case of the same assessee in the assessment years 1974-75 and 1977-78, this court by judgment dated October 9, 1995, held that the higher instalments paid due to exchange fluctuation is capital in nature. Accordingly, we answer the question referred to us in the affirmative and against the assessee. No costs.