M. K. Brothers (P) Ltd. . v. C.I.T. Kanpur
Case brief
What is this about?
Capital vs revenue expenditure; sole selling agency; discharge of previous agent's dues by instalments out of commission; enduring-benefit/purpose test; clause 13 no-claim stipulation immaterial; ss. 10 and 66(1), Indian Income-tax Act 1922; AY 1956-57; deduction of Rs. 43,333 disallowed; certificate appeal under Article 133 from Allahabad High Court (Misc. Case No. 434 of 1962) dismissed with costs; Assam Bengal Cement and Divecha followed.
What did the court decide?
The test for distinguishing capital from revenue expenditure is the purpose for which the payment is made: a payment to acquire a capital asset or an advantage of enduring benefit is capital expenditure even if made by instalments, while a payment in the course of and for carrying on business is revenue expenditure even if large or non-periodic; the source or manner of payment and whether it is large or small, lump-sum or by instalments, are immaterial.