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October 2020

Section 80IC – Income arising from scrap sales is part of business income eligible for deduction u/s 80IC

By Jagdish D. Shah | Jagdish T. Punjabi
Chartered Accountants
Reading Time 2 mins

1. Isolloyd Engineering Technologies Limited vs. DCIT (Delhi) Members: O.P. Kant (A.M.) and Kuldip Singh (J.M.) ITA No. 3936/Del./2017 A.Y.: 2012-13 Date of order: 4th September, 2020 Counsel for Assessee / Revenue: None / S.N. Meena and M. Barnwal

 

Section 80IC
– Income arising from scrap sales is part of business income eligible for
deduction u/s 80IC

 

FACTS


The assessee
had three manufacturing units. It was entitled to claim deduction u/s 80IC @30%
on the first two units and @100% on the third one. During the year under
appeal, the assessee’s claim for deduction u/s 80IC included the sum of Rs.
52.67 lakhs qua the amount of scrap sales aggregating to Rs. 80.13
lakhs. According to the A.O., the same was not related to manufacturing
activity, hence it was disallowed. On appeal, the CIT(A) restricted the
addition to Rs.7.08 lakhs by allowing the deduction to the extent of Rs. 45.59
lakhs claimed u/s 80IC.

 

HELD


The Tribunal
noted that the scrap consisted of empty drums, off-cuts, trims, coils,
leftovers, packing material, ‘gatta’, scrap rolls, etc., which were generated
in the course of the business. According to it, it was settled principle of law
that scrap generated in the business is part and parcel of the income derived
from the business and as such forms part of the business profit, as held by the
Delhi High Court in the case of CIT vs. Sadu Forgings Ltd. (336 ITR 444).
It further noted that the CIT(A) had duly obtained and analysed unit-wise
details of scrap sold in the year under appeal and found the claim of the
assessee prima facie plausible. However, without giving any reason, the
sum of Rs. 7.08 lakhs was disallowed. According to the Tribunal, the CIT(A) had
erred in disallowing the amount of Rs. 7.08 lakhs out of the total claim of Rs.
52.67 lakhs made u/s 80IC. Accordingly, it allowed the appeal of the assessee.

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