BHARAT COMMERCE AND INDUSTRIES LTD. versus THE COMMISSIONER OF INCOME TAX, CENTRAL-II

BHARAT COMMERCE AND INDUSTRIES LTD. versus THE COMMISSIONER OF INCOME TAX, CENTRAL-II

Interest paid under sections 139 and 215 of the Income Tax Act, 1961 and under section 6 of the Voluntary Disclosure of Income and Wealth Act, 1976 for delayed payment of income-tax and sur-tax is not expenditure incurred wholly and exclusively for the purpose of business, and is not deductible under section 37(1),...

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Parties
Appellant: Bharat Commerce and Industries Ltd.; Respondent: The Commissioner of Income Tax, Central-II
Jurisdiction
India
Procedural Posture
Civil Appeal / Supreme Court Appellate Decision
Outcome
Appeals dismissed with costs
Legal Topics
Business Expenditure, Deductions, Advance Tax, Interest for Delayed Payment, Voluntary Disclosure of Income and Wealth Act
Income Tax Business Expenditure Deductions Advance Tax Interest for Delayed Payment Voluntary Disclosure of Income and Wealth Act

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Parties

Bharat Commerce and Industries Ltd.

Appellant

The Commissioner of Income Tax, Central-II

Respondent

Procedural Posture

Civil Appeal / Supreme Court Appellate Decision

  1. 1 Whether interest levied under sections 139 and 215 of the Income Tax Act, 1961 is deductible under section 37 as business expenditure for assessment year 1972-73
  2. 2 Whether interest paid under section 6 of the Voluntary Disclosure of Income and Wealth Act, 1976 for delayed payment of income-tax and sur-tax is deductible under sections 80V, 37(1), or 36(1)(iii) of the Income Tax Act, 1961

Ratio Decidendi

Interest paid under sections 139 and 215 of the Income Tax Act, 1961 and under section 6 of the Voluntary Disclosure of Income and Wealth Act, 1976 for delayed payment of income-tax and sur-tax is not expenditure incurred wholly and exclusively for the purpose of business, and is not deductible under section 37(1), section 80V, or section 36(1)(iii) as it is a statutory liability not connected to business activities.

Court Disposition

Appeals dismissed with costs