Commissioner of Income Tax v. M/S Tamilnadu Road
Case brief
What is this about?
Road depreciation at 10% was upheld, and Section 14A disallowance without exempt income was rejected. The leasehold-right depreciation issue was remanded for fresh consideration of the agreement and the alternative revenue-expenditure claim. The Revenue's appeals were partly allowed.
What did the court decide?
Leasehold-depreciation findings for assessment years 2007-08 and 2008-09 set aside; issue remanded to the Assessing Officer for a fresh decision after hearing the assessee.