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Expenses incurred on upgradation and development of a product is a capital expenditure – Karnataka HC

Expenses incurred on upgradation and development of a product is a capital expenditure – Karnataka HC

While computing the income of an assessee, there are certain expenditures which are disallowed. This means that the income tax department does not allow the benefit of such expenditures and the assesses are required to pay taxes on such expenditures by adding it back to the net profits. Expenses which are allowed as a deduction while computing Profits or Gains from Business or Profession ae covered from Section 28 to 37 of the Income Tax Act.

As per Section 37(1) of the Income Tax Act, Any expenditure (not being expenditure of the nature described in sections 30 to 36 and not being in the nature of capital expenditure or personal expenses of the assessee), laid out or expended wholly and exclusively for the purposes of the business or profession shall be allowed in computing the income chargeable under the head “Profits and gains of business or profession”.

Let us refer to the case of Bioplus Life Sciences Pvt Ltd Vs DCIT (Karnataka High Court) where the issue under consideration was whether appellant was entitled to claim deduction of the expenditure incurred towards upgrading and development of a product as revenue expenditure (allowable under Income Tax) or was the same to be treated as capital expenditure (disallowable under Income Tax)

Facts of the Case:

Assessment Proceedings

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Order of CIT(A) and ITAT

Appeal before the High Court (HC) was raised on the following questions of law:

Reference by the High Court (HC) to earlier cases

Observations of the High Court (HC) on whether the expenditure was capital or revenue in nature?

In conclusion, if an expenditure is incurred for bringing into existence an asset, the same is to be treated as capital expenditure and hence will be disallowed under the Income Tax provisions.

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