Monday 5 December 2011

Dy CIT v Hotel Excelsior Ltd ( 2011) Delhi Tribunal

Outstanding liabilities of the assessee cannot be said to have ceased to exist merely because the relevant accounts have become non operational or period of three years have expired and, therefore such liabilities cannot be charged to tax by invoking the provisions of section 41(1), more so when the assessee has not written back such liabilities in its profit and loss account.

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