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The Commissioner Of Income Tax, Meerut. 2. A.c.i.t., Special Circle, Dehradun v. Saipem Spa As Agent Of Mr. Bartolini Guiseppe, Arthur Anderson & Co., Bombay

High Court 09 Dec 2005 In favour of: Unclear
Forum / Bench
High Court · ukhcucis_pg
Parties
The Commissioner Of Income Tax, Meerut. 2. A.c.i.t., Special Circle, Dehradun v. Saipem Spa As Agent Of Mr. Bartolini Guiseppe, Arthur Anderson & Co., Bombay
Date of order
09 Dec 2005
Assessment year(s)
1990-91
Outcome
Other

The order — as passed by the High Court

Case summary

In The Commissioner Of Income Tax, Meerut. 2. A.c.i.t., Special Circle, Dehradun v. Saipem Spa As Agent Of Mr. Bartolini Guiseppe, Arthur Anderson & Co., Bombay, the High Court (2005) decided the matter under Section 17 of the Income-tax Act.

Issue: The substantial questions of law raised in the appeal are as [SECTION] ## follows: “Whether on the facts and in the circumstances of the case, the learned Income Tax Appellate Tribunal was legally justified in holding the free boarding and lodging facilities provided by the employer on board the rig in high sear cannot...

Decision: Following the above-mentioned judgment of a Division Bench of this Court, we dismiss the appeal.

Summary auto-generated from the order below — read the full judgment for the complete reasoning.

Sections referenced in this judgment

COURT NO.2 IN THE HIGH COURT OF UTTARANCHAL AT NAINITAL Income Tax Appeal No.98 of 2001 (Old No. 342 of 2000) 1. The Commissioner of Income Tax, Meerut. 2. A.C.I.T., Special Circle, Dehradun ………. Appellants Versus Saipem SPA as agent of Mr. Bartolini Guiseppe, Arthur Anderson & Co., Bombay ………. Respondent Dated: December 09, 2005 Mr. S.K. Posti, Advocate for the appellants. Coram: Hon. P.C. Verma, J. Hon. J.C.S. Rawat, J. This appeal is against the order dated 22.03.2000, passed by the Income Tax Appellate Tribunal, (Delhi Bench ‘SMC’ New Delhi) in ITA No.4581(Del) of 1993. The dispute relates to the Assessment Year 1990-91. 2. The substantial questions of law raised in the appeal are as follows: “Whether on the facts and in the circumstances of the case, the learned Income Tax Appellate Tribunal was legally justified in holding the free boarding and lodging facilities provided by the employer on board the rig in high sear cannot be construed to be perquisite?” “Whether on the facts and in the circumstances of the case, the learned Income Tax Appellate Tribunal was legally justified in holding that interest under Section 234-B of the I.T. Act cannot be charged since the entire income of the assessee was subject to T.D.S. whereas this 3. In the case of Commissioner of Income Tax and another Vs. Sedco Forex International Drilling Co. Ltd. and connected cases reported in (2003) 264 ITR 320, a Division Bench of this Court has held that the free boarding facility provided by the employer on the rig was not a perquisite under Section 17 (2)(iii) and that its value cannot be added to the income of the assessee. It has also been held that the imposition of interest under Section 234-B was not justified without hearing and without reasons. 4. Following the above-mentioned judgment of a Division Bench of this Court, we dismiss the appeal. Both the questions are answered against the appellants and in favour of the assessee. (J.C.S. Rawat, J.) Rajeev Dang (P.C. Verma, J.)
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