The assessee acquired
the mailing business of Kilburn Office as a going concern on a slump sale basis
pursuant to a Business Transfer Agreement. The consideration for the transfer
was Rs. 18.92 crores which included Rs. 5.94 Crores by way of non-compete
fee for a period of 5 years. In the accounts, the expenditure was treated
as a capital payment though a deduction was claimed in the computation
u/s 37(1). The AO disallowed the claim though the CIT (A) allowed it as
deferred revenue expenditure. On appeal by the department, the Tribunal reversed
the CIT (A) following Tecumesh India 132 TTJ 129 (Del) (SB) though it
directed the AO to consider whether the payment was an “intangible asset”
for purposes of depreciation. On appeal by the assessee, HELD dismissing the
appeal.
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