(1.) THE Appellate Tribunal, Jaipur Bench, has referred the following questions of law for the opinion of this Court : RA Nos. 19 & 20/Jp/1989
(2.) THE relevant facts are that the assessee is in receipt of Central/State Government subsidy during the previous year relevant to the asst. yrs. 1984 85 and 1985 86. The assessing authority deducted the amount of subsidy so received by the assessee from the money cost of plant, machinery, building, etc. for the purpose of S. 32 while granting the depreciation or investment allowance. The appellate authority namely, the CIT(A) reversed the finding and held that amount of subsidy granted to the assessee is not deductible from the money cost for the purposes of allowing depreciation, investment allowance, etc. The order of the CIT(A) was confirmed in second appeal by the Tribunal.
(3.) WE have heard Mr. Sandeep Bhandawat, learned counsel for the Revenue. In spite of notice none has appeared for the respondent assessee. As regard the first question that is with regard of subsidy has been decided against the Revenue and in favour of the assessee by a Division Bench of this Court in CIT vs. Ambica Electrolytic Capacitors (P) Ltd. & Ors. (1991) 94 CTR (Raj) 49 : (1991) 191 ITR 494 (Raj) : TC 29R.386. The Court held that the subsidy or investment subsidy given by the Government for the development of the industries in backward areas cannot be deducted from the actual cost for the purposes of depreciation or investment allowance. The Court held that it is an ex gratia allowance to industries in selected backward areas or districts. The dictionary meaning of the term "subsidy" is "financial aid given by Government towards expenses of an undertaking or institution held to be of public utility, or to producers of commodities, etc., to enable goods or services to be provided at lower cost to the consumer." From the definition of subsidy, it appears that it is in the nature of pecuniary assistance from the Government to the entrepreneurs so as to encourage the establishment of industries in all backward areas. Therefore, such subsidy/investment subsidy cannot be excluded from the actual cost for giving the benefit of depreciation. This assistance will certainly form part of the total assets of the assessee.