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[Cites 3, Cited by 4]

Income Tax Appellate Tribunal - Kolkata

M/S Kanodia Stock Broking Pvt. Ltd., ... vs Acit, Cc-1(2), Kolkata, Kolkata on 23 August, 2017

ITA No.509/Kol/2015-M/s. Kanodia Stock Broking A.Y.2007-08                                   1



     IN THE INCOME TAX APPELLATE TRIBUNAL, BENCH 'C' KOLKATA

     [Before Hon'ble Shri J.Sudhakar Reddy, AM & Shri S.S.Viswanethra Ravi, JM ]
                                  ITA No.509/Kol/2015
                                Assessment Year : 2007-08

M/s. Kanodia Stock Broking                   -versus-    A.C.I.T.- Central Circle-1(2),
Kolkata                                                    Kolkata
(PAN: AABCK 3292 N)
(Appellant)                                                  (Respondent)

For the Appellant: Smt. Shikha Agarwal, AR
For the Respondent: Shri David Z.Chawngthu, Addl. CIT(Sr.DR)

        Date of Hearing : 10.08.2017.
        Date of Pronouncement : 23.08.2017.

                                             ORDER
PER J.SUDHAKAR REDDY, AM:

This is an appeal by the Assessee directed against the order of the Commissioner of Income Tax-(A)- 20, Kolkata relating to A.Y. 2007-08 on the following grounds :

"1.That the Ld. CIT(A) erred in confirming disallowance of expenditure of Rs.19,50,471/- made by the AO under sec.14A of the Income Tax Act, 1961. The AO admitted that the assessee has been a trader in shares and all the expenses are relating to the trading business of shares but disallowed the pro rata interest under sec.14A considering the 'stock in-trade' to be the 'investment'. The disallowance is wrong and need to be deleted.
2. That the assessee craves leave to add, alter, amend or withdraw any ground or grounds of appeal before or at the time of hearing."

2. The Assessee is admittedly a trader in shares. The total purchase of shares during the financial year 2006-07 was Rs.87.6 crores and corresponding sales was Rs.86.53 crores. The investments in shares as on 31.03.2006 as well as on 31.03.2007 was Rs.10,15,477/-. The assessee earned dividend income of Rs.4,95,262/- during the year. The AO disallowed an amount of Rs.19,50,471/- u/s 14A of the Income Tax Act, 1961 (Act). The Hon'ble Delhi Court in the case Joint Investments Pvt. Ltd. Vs CIT in ITA No.509/Kol/2015-M/s. Kanodia Stock Broking A.Y.2007-08 2 ITA No.117/2015 Judgment dated 25/02/2015 held that disallowance under section 14A of the Income Tax Act, 1961 (The Act) cannot exceed the tax exempt income.

3. Thus the disallowance u/s 14A cannot exceed Rs.4,95,262/- in this case. Hence the disallowance sustained by the ld. CIT(A) has to be reversed. . In any event in the facts and circumstances of the case, keeping in view of the fact that the assessee is a trader in shares and stocks and also the fact that the assessee would have incurred some expenses for earning the dividend income, interest of justice would be met if 10% of the dividend income is disallowed u/s 14A of the Act. We order accordingly.

4. In the result the appeal of the assessee is partly allowed.

Order pronounced in the Court on 23.08.2017.

              Sd/-                                                        Sd/-
     [S.S.Viswanethra Ravi]                                      [ J.Sudhakar Reddy ]
     Judicial Member                                            Accountant Member

Dated    : 23.08.2017.

[RG PS]

Copy of the order forwarded to:

1.M/s. Kanodia Stock Broking Pvt. Ltd., 1, R.N.Mukherjee Road, 4th Floor, Room NO.5 & 6, Kolkata-700001.

2. A.C.I.T., Central Circle-1(2), Kolkata.

3. C.I.T.(A)-20, Kolkata. 4. C.I.T., Central -1, Kolkata.

3. CIT(DR), Kolkata Benches, Kolkata.

True Copy By order, Senior Private Secretary Head of Office/D.D.O, ITAT Kolkata Benches