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Case Law Details

Case Name : M/s. Tipco Industries Ltd. Vs. The ACIT (ITAT Mumbai)
Appeal Number : ITA No.5708/Mum/2009
Date of Judgement/Order : 03/08/2012
Related Assessment Year : 2004-05
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Ground No. 3 relates to disallowance of prior period expenses amounting to Rs. 2,33,864/-. The Ld. Counsel for the assessee submitted that expenses of petty nature have been written off during the year, details of which have been furnished during the course of assessment proceedings. The Ld. DR strongly supported the orders of lower authorities. We have considered the rival submissions and perused the orders of lower authorities. It is settled that the deductions can be permitted in respect of only those expenses which are incurred in the relevant accounting year for the purpose of computing yearly profits and gains. We find that the claim of the assessee of expenses pertaining to prior period cannot be accepted as nothing has been brought on record to substantiate its claim neither before the lower authorities nor before us. Ground No. 3 is accordingly dismissed.

 INCOME TAX APPELLATE TRIBUNAL, MUMBAI

ITA No.5708/Mum/2009 – Assessment Year-2004-05

M/s. Tipco Industries Ltd. Vs.  The ACIT

Date of pronouncement: 03.08.2012

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3 Comments

  1. Shiv says:

    What if supplier raise invoice for last year in current year as it was missed from their end and wanted us to pay so can we book such invoice and claim those expenses as it pertains to last to last year.

    Please guide.

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