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February 2017

16. [2016] 161 ITD 527 (Pune Trib.) Knox Investments (P.) Ltd. vs. ITO A.Y.: 2007 – 08 Date of order: 26th August, 2016

By C. N. Vaze
Shailes h Kamdar
Jagdis h T. Punjabi
Bhadres h Doshi
Reading Time 6 mins

Section 37(1) – Where assessee, a financial intermediary agent, enters into an assignment agreement whereby liability of assignor is acquired by assessee at its NPV, then difference between NPV of the said liability as at end of relevant financial year and as at end of preceding financial year, till the repayment of the liability commences, is allowed as finance charges.       

FACTS

The assessee-company was engaged in business of financial intermediary agents and earned income by way of commission and professional fees and followed mercantile system of accounting.

During the assessment proceedings, the AO inquired about the nature of payment of Rs.44,71,126/-that the assessee had debited as finance charges in its profit and loss account.

In response to the same, the assessee submitted that Indian Seamless Steels and Alloys Ltd. (ISSAL) had availed interest free sales-tax deferral Certificate of Entitlement from the Government of Maharashtra under the Package scheme of Incentives,1988. As per the said scheme, sales-tax liability of each year was required to be paid by ISSAL to the Sales-Tax Department of Government of Maharashtra in five equal annual instalments upon expiry of ten years from the date of availment i.e. to say the sales tax collected for the financial year 1994-95 was required to be repaid in five equal annual instalments beginning with financial year 2005-06 and so on.

As a part of financing activity, the assessee vide agreement dated 9th April 2001, took over liability of the ISSAL for repayment of sales-tax deferral amounting to Rs. 835.98 lakh (collected by ISAAL for the period 1st April 2000 to 31st March 2001) for a consideration of  Rs. 268.79 lakh arrived at @10% NPV based on the repayment schedule. The said loan was repayable by the assessee to Government in five equal instalments starting from F.Y. 2011-12 and ending on F.Y.2015-16.

This NPV of liability amounting to Rs. 268.79 lakh as on 31.03.2001, got enhanced to 288.63 lakh as on 31.03.2002 and the same was shown under the head ‘unsecured loans’ for the first time in the balance sheet of the assessee as on 31.03.2002. The NPV of liability thus got increased every year till the repayment would commence in the F.Y. 2011-12 and the difference in NPV at the end of a particular financial year and the immediately preceding year was claimed as expenditure under the head ‘finance charges’ in the P&L account of that year.

Following the same method in this year, the difference in NPV as on 31.03.2007 and as on 31.03.2006 amounting to Rs. 44,71,126/- was debited to the P&L account for the year under consideration as expenditure under the head ‘finance charges’ and as it was not actually paid, the said amount was also added to the existing outstanding liability and shown under the head ‘unsecured loans’.

The AO was of the view that the amount so debited was not a revenue expenditure as liability did not exist in praesenti but was a contingent liability. He thus disallowed the claim of finance charges.

The Commissioner (Appeals), endorsed the action of the Assessing Officer.

On appeal before the Tribunal:

HELD

The judicial opinion of the various courts is that a liability depending upon a contingency is not a debt in praesenti or in futuro till the contingency happens. But if it is debt, the fact that the amount has to be ascertained does not make it any less a debt if the liability is certain and what remains is only a quantification of the amount. The word ‘contingent’ in contrast, refers to possibility of an obligation or liability to arise on occurrence or non-occurrence of one or more uncertain future events.

An accrued liability is an allowable deduction whereas a contingent liability is not an allowable deduction for the purposes of determination of taxable income. Therefore the pertinent question that arises for adjudication is whether, difference in NPV of the liability at the end of a particular financial year and the immediately preceding year claimed as expenditure under the head ‘finance charges’ in the P&L account of that year (i.e. Rs. 44,71,126/- debited to P&L for relevant assessment year under consideration), is an accrued liability or a contingent liability.

In terms of section 145 of the Income-tax Act, 1961 read with section 211 of the Companies Act, 1956 – a company has to mandatorily prepare its account on ‘accrual’ basis. The term ‘Accrual’ has been defined by the Accounting Standard-1 and by section 145 of the Income-tax Act, 1961 as follows -.

‘Accrual’ refers to the assumptions that revenues and costs are accrued, that is, recognized as they are earned or incurred (and not as money is received or paid) and recorded in the final statements of the periods to which they relate.

The Accounting Standard-1 further provides that as a matter of prudent accounting policy, provisions should be made for all known liabilities and losses even though the amount cannot be determined with certainty and represents only the best estimate in the light of available information. Under the Mercantile System of Accounting, the expenditure items for which legal liability has been incurred are immediately debited even before the amount in question is actually distributed.

In terms of section 28 read with section 145 of the Income Tax Act,1961 income chargeable under the head ‘profit and gains of business or profession’ cannot be determined unless and until the expenses or obligations which have been incurred are set-off against the receipts. Therefore, in order to determine the true profits arising from business, the expenditure actually incurred or liability in respect thereof accrued even though it may have to be discharged at some future date has to be necessarily accounted for.

In the present case, the assessee by virtue of assignment agreement received certain amount which was to be replenished and repaid by higher sum computed by applying Net Present Value method at a discounting factor of 10%. The corresponding finance costs debited to profit & loss account during the year represents incremental increase in the liability with the efflux of time where the liability gets accrued as it inches towards maturity. Thus, it was manifest that the incremental liability had accrued to the assessee in praesenti with the efflux of time notwithstanding the fact that increase in the liability was required to be actually discharged on a future date. The gradual increase in liability is dependent on the time horizon that has elapsed and therefore not an uncertain event by any stretch of imagination. The liability has definitely accrued in praesenti against future outflow of resources and the said liability can be determined with great reliability.

In result, the appeal of the assessee is allowed.

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