The Pr. Commissioner of Income Tax -Central -1 v. Spicejet Limited
Case brief
What is this about?
FCCB redemption premium — capital vs revenue expenditure; allowability under Section 37, Income Tax Act 1961; timing of deduction — spreading premium over bond tenure versus year-of-issue claim; Spicejet Limited; AYs 2006-07 to 2010-11; ITAT order dated 28.12.2022 in ITA No.5657/DEL/2011; CIT(A) orders dated 23.08.2013 and 20.12.2012; Madras Industrial Investment Corporation Ltd. (SC); Jagatjit Industries (Delhi HC); Havells India Ltd. (Delhi HC); no substantial question of law; Revenue appeals dismissed; 1080-day re-filing delay condoned.
What did the court decide?
It is a settled position in law that expenditure incurred in connection with the issue of debentures or for obtaining a loan constitutes revenue expenditure; the liability is incurred the moment the FCCBs or debentures are issued and qualifies as an expenditure within the meaning of Section 37 of the Income Tax Act, 1961.