Lissie Medical Institutions v. Commissioner of Income Tax
Case brief
What is this about?
A charitable hospital claimed depreciation on assets while treating the capital cost as an application of income under Section 11. The Court held this results in double deduction unless depreciation is written back as income. The appeal was disposed of allowing the assessee to write back depreciation over time.
What did the court decide?
The appeal was disposed of by confirming the Tribunal's order but granting relief to the assessee to write back the depreciation over several years for subsequent tax years.