Commiioner Of Income Tax vs Sri Mangayarkarasi Mills (P) Ltd.
In this landmark Supreme Court judgment, the Revenue successfully appealed against the High Court’s decision allowing deduction for machinery replacement expenditure as revenue. The Court, applying the ratio from CIT vs. Saravana Spinning Mills, established that in a textile mill, each machine functions independently within an integrated process. Replacing such machinery constitutes capital expenditureābringing a new asset into existence and providing enduring benefitānot deductible under Section 31 (current repairs) or Section 37 (revenue expenditure). The decision clarifies the distinction between repair and replacement, emphasizing the capital nature of such expenditures and rejecting the assessee’s attempt to claim deductions merely to reduce tax liability.
Commiioner Of Income Tax vs Sri Mangayarkarasi Mills (P) Ltd. View Full Article Ā»
