Sharpedge Ltd. vs Income Tax Officer
In this landmark ITAT Delhi decision, the Tribunal comprehensively dismissed the Revenue’s appeal, upholding the CIT(A)’s order in favor of Sharpedge Ltd. for AY 1983-84. The judgment reinforces key principles in Indian tax jurisprudence: cash allowances are part of salary for disallowance purposes; commitment charges on unutilized loans are deductible revenue expenditure; post-fire repair costs are revenue in nature; food provided to employees during work conferences is not entertainment expenditure; businesses can change accounting methods for export incentives based on practical exigencies; provisional insurance receipts are not taxable until final settlement; and various depreciation and investment allowances must be computed liberally to support industrial growth. The Tribunal consistently applied stare decisis, following its own precedents and higher court rulings, emphasizing factual and commercial reality over technical interpretations.
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