LAWS(CAL)-1993-8-7

COMMISSIONER OF INCOME TAX Vs. USHA TELEHOIST LTD

Decided On August 02, 1993
COMMISSIONER OF INCOME-TAX Appellant
V/S
USHA TELEHOIST LTD. Respondents

JUDGEMENT

(1.) In this reference under Section 256(1) of the Income-tax Act, 1961, for the assessment year 1984-85, the following question has been raised before this court :

(2.) Shortly stated the facts are that originally the Assessing Officer allowed deduction under Section 35B(1)(b)(iv) of the Act on the commission of Rs. 2,50,587 paid to the foreign agents.

(3.) Subsequently, the said assessment was set aside by the Commissioner of Income-tax, West Bengal-1, Calcutta, vide his order under Section 263 of the Act, since it was viewed by him that the commission paid to foreign agents did not qualify for the deduction under Section 35B as no branch office had been maintained by the assessee-company outside India.