Case Law Details
Case Name : Philips India Limited ACIT (ITAT Kolkata)
Appeal Number : I.T.A. No. 2418/KOL/2018
Date of Judgement/Order : 22/08/2023
Related Assessment Year : 2009-10
Courts :
All ITAT ITAT Kolkata
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Philips India Limited ACIT (ITAT Kolkata)
The Income Tax Appellate Tribunal (ITAT) Kolkata considered appeals by both Philips India Limited (the assessee) and the Revenue against the order of the Commissioner of Income-tax (Appeals) for the Assessment Year (AY) 2009-10. The central issue pertained to the allowance of depreciation on moulds owned by the assessee. This article provides an overview of the case and its implications.
Background of the Case: This case involves
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Interesting update! The ITAT’s decision to grant 30% depreciation to Philips India sets an important precedent for similar cases. It’s always insightful to see how tax laws and depreciation claims impact businesses. Do you think this ruling will influence other companies to revisit their depreciation claims? Looking forward to your thoughts!”
“Interesting update! It’s great to see how the ITAT’s decision to grant 30% depreciation on Philips India’s business-owned moulds can have a significant impact on their financials. This ruling could set a precedent for other businesses in similar sectors. The importance of understanding depreciation policies in tax planning cannot be overstated. Looking forward to seeing how this affects the industry going forward. Thanks for sharing this detailed analysis!”
Philips India Limited’s case with ACIT (ITAT Kolkata) involves tax-related matters, with the Income Tax Appellate Tribunal ruling on issues related to taxation. The decision likely impacts the company’s tax obligations and compliance.
The ITAT ruling in favor of Philips India Limited on the depreciation of moulds emphasizes the importance of ownership and usage for business purposes in determining depreciation rates. Additionally, the decision clarifies the distinction between CENVAT credit and excise duty expenses under the Income Tax Act.