J. K. WOOLLEN MANUFACTURERS versus COMMISSIONER OF INCOME-TAX, U.P.

J. K. WOOLLEN MANUFACTURERS versus COMMISSIONER OF INCOME-TAX, U.P.

The entire commission paid to the General Manager was an amount laid out or expended wholly and exclusively for the purpose of the assessee’s business, based on commercial expediency judged from the businessman’s perspective.

Source-derived case information.

Parties
Appellant: J. K. Woollen Manufacturers; Respondent: Commissioner of Income-tax, U.P.
Jurisdiction
India
Procedural Posture
Civil Appeal / Supreme Court Decision on Appeal by Special Leave
Outcome
Appeal allowed
Legal Topics
Deductibility of Commission Payments, Business Expenditure, Commercial Expediency
Income Tax Law Deductibility of Commission Payments Business Expenditure Commercial Expediency

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Parties

J. K. Woollen Manufacturers

Appellant

Commissioner of Income-tax, U.P.

Respondent

Procedural Posture

Civil Appeal / Supreme Court Decision on Appeal by Special Leave

  1. 1 Whether the commission paid to the General Manager at 25% of profits was wholly and exclusively laid out for the purpose of the business under s. 10(2)(xv) of the Income-tax Act, 1922

Ratio Decidendi

The entire commission paid to the General Manager was an amount laid out or expended wholly and exclusively for the purpose of the assessee’s business, based on commercial expediency judged from the businessman’s perspective.

Court Disposition

Appeal allowed

Orders

  • The question of law is answered in favour of the assessee.
  • The assessee is entitled to deduct the commission as a business expenditure.