Maneklal Harilal Spg & Mfg Co Ltd v. Commissioner Of Income-Tax
High Court
03 Aug 2001 In favour of: Unclear
Forum / Bench
High Court · gujarathc
Parties
Maneklal Harilal Spg & Mfg Co Ltd v. Commissioner Of Income-Tax
Date of order
03 Aug 2001
Assessment year(s)
—
Outcome
Other
Case summary
In Maneklal Harilal Spg & Mfg Co Ltd v. Commissioner Of Income-Tax, the High Court (2001) decided the matter.
Issue: Whether it is to be circulated to the Civil Judge? : NO -------------------------------------------------------------- MANEKLAL HARILAL SPG & MFG CO LTD Versus COMMISSIONER OF INCOME-TAX -------------------------------------------------------------- Appearance: 1.
Summary auto-generated from the order below — read the full judgment for the complete reasoning.
Sections referenced in this judgment
The order — as passed by the High Court
IN THE HIGH COURT OF GUJARAT AT AHMEDABAD
INCOME TAX REFERENCE No 121 of 1985
For Approval and Signature:
Hon'ble MR.JUSTICE A.R.DAVE Sd/-
and
Hon'ble MR.JUSTICE D.A.MEHTA Sd/-
============================================================
1. Whether Reporters of Local Papers may be allowed : NO
to see the judgements? 2. To be referred to the Reporter or not? : NO
3. Whether Their Lordships wish to see the fair copy : NO
of the judgement? 4. Whether this case involves a substantial question : NO of law as to the interpretation of the Constitution of India, 1950 of any Order made thereunder? 5. Whether it is to be circulated to the Civil Judge? : NO
--------------------------------------------------------------
MANEKLAL HARILAL SPG & MFG CO LTD
Versus
COMMISSIONER OF INCOME-TAX -------------------------------------------------------------- Appearance: 1. INCOME TAX REFERENCE No. 121 of 1985 MR HM TALATI for Applicant. MR BB NAYAK FOR MR MANISH R BHATT for Respondent.
--------------------------------------------------------------
CORAM : MR.JUSTICE A.R.DAVE
and
MR.JUSTICE D.A.MEHTA
Date of decision: 03/08/2001
ORAL JUDGEMENT
1�At the instance of the applicant, the following
two questions have been referred to this Court for its
opinion under the provisions of Section 256(1) of the
Income Tax Act,1961 (hereinafter referred to as 'the
Act').
"1 Whether, on the facts and in the
circumstances of the case the Appellate
Tribunal was right in law in holding
that payment of bank guarantee commission
was expenditure of capital nature ?
2 Whether, on the facts and in the
circumstances of the case, the Appellate
Tribunal was right in law in holding that
commission paid to Managing Directors was
remuneration and requires to be added for
the provisions of section 40(c) of the
I.T.Act,1961?"
2�We have heard learned Advocate Mr.Talati
appearing for the applicant and learned Advocate
Mr.B.B.Nayak appearing for the respondent.
3�During pendency of this Reference both the
questions which have been referred to this Court have
been answered by different Courts.
4�So far as the first question is concerned, it has
been decided by the Hon'ble Supreme Court in the case of
I.T.R. vs. Sivakami Mills Ltd, 227 I.T.R. 465.
Looking to the law laid down by the Hon'ble Supreme Court
in the said case we answer the said question in the
negative i.e. in favour of the assessee and against the
revenue.
5�So far as the second question is concerned, it
has also been answered by this Court in the case of
C.I.T. vs. Rohit Mills Ltd. Looking to the law laid down
by this Court in the said judgment we answer the question
in the affirmative i.e. against the assessee and in
favour of the revenue.
6�The Reference thus stands disposed of accordingly with no order as to costs.
���Sd/-��Sd/-
�� (A.R.Dave,J)� (D.A.Mehta, J)
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