DEPUTY COMMISSIONER OF INCOME TAX vs INDIAN CABLE NETCO LTD.
The Income Tax Appellate Tribunal, Kolkata Bench, dismissed the Revenue’s appeal and allowed the Assessee’s cross-objection. The core issue was the allowability of depreciation on goodwill arising from a court-approved amalgamation. The Tribunal upheld the CIT(A)’s decision that such goodwill is a purchased intangible asset eligible for depreciation under Section 32(1), relying on Supreme Court precedents. The Tribunal also held that the 5th Proviso to Section 32(1) does not bar depreciation on amalgamation goodwill. Additionally, the Tribunal ruled that no disallowance under Section 14A is permissible when no exempt income is earned, and allowed the assessee’s additional ground regarding the opening written-down value. The judgment reinforces the principle that goodwill arising from amalgamation is depreciable and that Section 14A disallowance requires actual receipt of exempt income.
DEPUTY COMMISSIONER OF INCOME TAX vs INDIAN CABLE NETCO LTD. View Full Article »
