M/S APEX LABORATORIES PVT. LTD. versus DEPUTY COMMISSIONER OF INCOME TAX, LARGE TAX PAYER UNIT - II

M/S APEX LABORATORIES PVT. LTD. versus DEPUTY COMMISSIONER OF INCOME TAX, LARGE TAX PAYER UNIT - II

Expenditures incurred by pharmaceutical companies in providing freebies to medical practitioners are disallowable under Explanation 1 to Section 37(1) of the Income Tax Act because acceptance of such freebies by medical practitioners was prohibited by law under the Indian Medical Council Regulations (effective...

Source-derived case information.

Parties
Appellant: M/S Apex Laboratories Pvt. Ltd.; Respondent: Deputy Commissioner of Income Tax, Large Tax Payer Unit- II
Jurisdiction
India
Procedural Posture
Civil Appeal / Appeal to the Supreme Court Against High Court Judgment
Outcome
Appeal dismissed
Legal Topics
Section 37(1) Explanation 1 (deductibility of Business Expenditure), CBDT Circular No.5/2012 and Its Applicability, Indian Medical Council (professional Conduct, Etiquette and Ethics) Regulations, 2002 (regulation 6.8), Public Policy and Prohibited by Law, Retrospective Application of Administrative Circulars
Income Tax Taxation Medical Regulatory Law Contract Law Criminal Law Section 37(1) Explanation 1 (deductibility of Business Expenditure) CBDT Circular No.5/2012 and Its Applicability Indian Medical Council (professional Conduct, Etiquette and Ethics) Regulations, 2002 (regulation 6.8) +2 more

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Parties

M/S Apex Laboratories Pvt. Ltd.

Appellant

Deputy Commissioner of Income Tax, Large Tax Payer Unit- II

Respondent

Procedural Posture

Civil Appeal / Appeal to the Supreme Court Against High Court Judgment

  1. 1 Whether expenditure by a pharmaceutical company on gifting freebies to medical practitioners is deductible under Section 37(1) of the Income Tax Act, 1961
  2. 2 Whether such expenditure falls within Explanation 1 as an expenditure for a purpose which is an offence or prohibited by law
  3. 3 Whether the Indian Medical Council Regulations, 2002 and the CBDT circular render such expenses inadmissible and whether those instruments apply to pharmaceutical companies

Ratio Decidendi

Expenditures incurred by pharmaceutical companies in providing freebies to medical practitioners are disallowable under Explanation 1 to Section 37(1) of the Income Tax Act because acceptance of such freebies by medical practitioners was prohibited by law under the Indian Medical Council Regulations (effective 14.12.2009), and the CBDT circular properly clarified that such expenses are inadmissible; participation by the donor in enabling an act prohibited by law precludes deduction.

Court Disposition

Appeal dismissed

Orders

  • Appeal dismissed without order on costs.
  • Pending application(s), if any, stand disposed of.