Citation : 2021 Latest Caselaw 13802 Mad
Judgement Date : 12 July, 2021
Tax Case Appeal Nos.253 to 255 of 2017
IN THE HIGH COURT OF JUDICATURE AT MADRAS
DATED : 12.07.2021
CORAM
THE HON'BLE MR.JUSTICE M. DURAISWAMY
AND
THE HON'BLE MRS.JUSTICE R. HEMALATHA
Tax Case Appeal Nos.253 to 255 of 2017
M/s.M.Ct.M.Global Investments Private Limited
761, Anna Salai,
Chennai – 600 002. ... Appellant
in all appeals
Vs.
The Asst. Commissioner of Income Tax,
Company Circle IV(1),
Chennai – 600 034. ... Respondent
in all appeals
Tax Case Appeals in Tax Case Appeal Nos.253 to 255 of 2017 filed under Section 260A of the Income Tax Act, 1961 against the order of the Income Tax Appellate Tribunal, Chennai "A" Bench, dated 21.10.2016 passed in C.O.No.200/Mds/2019 in I.T.A.No.1654/Mds/2009, I.T.A.Nos.1102/Mds/2011 and 115/Mds/2012 respectively.
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For Appellant : Ms.Sri Niranjani Srinivasan for M/s.G.Baskar in all appeals
For Respondent : Mr.Karthik Ranganathan Senior Standing Counsel in all appeals
COMMON JUDGMENT (Delivered by M.DURAISWAMY, J.)
The above appeals filed by the assessee under Section 260A of the
Income Tax Act, 1961 ('the Act' for brevity), are directed against the
order dated 21.10.2016 passed by the Income Tax Appellate Tribunal,
Chennai "A" Bench, ('the Tribunal' for brevity) in C.O.No.200/Mds/2019
in I.T.A.No.1654/Mds/2009, I.T.A.Nos.1102/Mds/2011 and
115/Mds/2012 for the assessment years 2006-07, 2007-08 and 2008-09
respectively. The appellant/assessee has raised the following substantial
questions of law in the above appeals:
“T.C.A.No.253 of 2017 :
1.Whether on the facts and circumstances of the case, the Income Tax Appellate Tribunal is right in law in holding that the income earned by Malaysian Branch of the https://www.mhc.tn.gov.in/judis/ Page 2/9 Tax Case Appeal Nos.253 to 255 of 2017
company is taxable in India and not taxable in Malaysia?
2.Whether on the facts and in the circumstances of the case the Income Tax Appellate Tribunal is right in law in holding that the income by way of interest had to be classified as "income from other sources and not "income from business", even if assessee is the nonbanking financial company and the interest income earned in the course of its business activity?
3.Whether on the facts and circumstances of the case, the Income Tax Appellate Tribunal is right in law in holding that the dividend income is liable to be taxed under the head "income from Other Sources" and not under the head "income from business"?
4.Whether on the facts and circumstances of the case, the Income Tax Appellate Tribunal is right in law in holding that the income/loss on purchase and sale of stock- in-trade is liable to be taxed under the head "capital gains".
5.Whether on the facts and circumstances of the case, the Income Tax Appellate Tribunal is right in law in rejecting the claim of the Appellant that the income derived in Malaysia constitutes business income, even when the
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Appellant is systematically and continuously carrying on business of purchase/sale of investments?
T.C.A.Nos.254 and 255 of 2017 :
1.Whether on the facts and circumstances of the case, the Income Tax Appellate Tribunal is right in law in holding that the income earned by Malaysian Branch of the company is taxable in India and not taxable in Malaysia?
2.Whether on the facts and in the circumstances of the case the Income Tax Appellate Tribunal is right in law in holding that expenditure incurred by Malaysian Branch cannot be treated as allowable expenditure even if income from Malaysian Branch was treated as taxable income in India?
3.Whether on the facts and in the circumstances of the case, expenditure incurred for earning an income has to be allowed either under the head "business" or under the head "other sources" according to the treatment of the income under the head "business" or under the head "other sources" in accordance with section 37 or under section 56 of Income Tax Act, 1961 respectively?
4.Whether on the facts and in the circumstances of the case the Income Tax Appellate Tribunal is right in law
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in holding that the income by way of interest had to be classified as "income from other sources and not "income from business", even if assessee is the nonbanking financial company and the interest income earned in the course of its business activity?
5.Whether on the facts and circumstances of the case, the Income Tax Appellate Tribunal is right in law in holding that the dividend income is liable to be taxed under the head "income from Other Sources" and not under the head "income from business"?
6.Whether on the facts and circumstances of the case, the Income Tax Appellate Tribunal is right in law in holding that the income/loss on purchase and sale of stock- in-trade is liable to be taxed under the head "capital gains".
7.Whether on the facts and circumstances of the case, the Income Tax Appellate Tribunal is right in law in rejecting the claim of the Appellant that the income derived in Malaysia constitutes business income, even when the Appellant is systematically and continuously carrying on business of purchase/sale of investments?
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2. We have heard Ms.Sri Niranjani Srinivasan, learned counsel
appearing for the appellant/ assessee and Mr.Karthik Ranganathan,
learned Senior Standing Counsel for the respondent/Revenue.
3. It may not be necessary for this Court to decide the Substantial
Questions of Law framed for consideration on account of certain
subsequent developments. The Government of India enacted the Direct
Tax Vivad Se Vishwas Act, 2020 (Act 3 of 2020) to provide for
resolution of disputed tax and for matters connected therewith or
incidental thereto. The Act of the Parliament received the assent of the
President on 17th March 2020 and published in the Gazette of India on
17th March 2020.
4. We are informed by the learned counsel for the appellant/
assessee that the assessee had already been issued with Form-3 on
31.01.2021 and the learned counsel for the appellant seeks permission of
this Court to withdraw the above appeals.
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5. In the light of the fact that the assessee has already availed the
benefit under the Act, no useful purpose would be served in keeping
these appeals pending. At the same time, the interest of the assessee in
the event the order to be passed by the Department under the Act is not
in favour of the assessee, is to be safeguarded. Accordingly, the Tax
Case Appeals stand dismissed as withdrawn on the ground that the
assessee has already been issued with Form-3 and the Department shall
process the application at the earliest in accordance with the said Act and
communicate the decision to the assessee at the earliest. As observed, the
assessee is given liberty to restore these appeals in the event the ultimate
decision to be taken on the declaration filed by the assessee under
Section 4 of the said Act is not in favour of the assessee. If such a prayer
is made, the Registry shall entertain the prayer without insisting upon
any application to be filed for condonation of delay in restoration of
these appeals and on such request made by the assessee by filing a
Miscellaneous Petition for Restoration, the Registry shall place such
petition before the Division Bench for orders.
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6. With this observation, these Tax Case Appeals stand dismissed
as withdrawn with the aforementioned liberty, and consequently, the
Substantial Questions of Law are left open. No costs.
[M.D., J.] [R.H., J.]
12.07.2021
(2/3)
Index : Yes/No
Internet : Yes
mkn
To
1. Income Tax Appellate Tribunal, Chennai "A" Bench
2.The Asst. Commissioner of Income Tax, Company Circle IV(1), Chennai – 600 034.
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M. DURAISWAMY, J.
and R. HEMALATHA, J.
mkn
T.C.A. Nos.253 to 255 of 2017
12.07.2021 (2/3)
https://www.mhc.tn.gov.in/judis/ Page 9/9
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