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1996 DIGILAW 885 (MAD)

Commissioner of Income Tax v. Trichy Steel Rolling Mills Limited

1996-08-29

K.A.THANIKKACHALAM, N.V.BALASUBRAMANIAN

body1996
Judgment :- K. A. THANIKKACHALAM J. In compliance with the directions of this court given in T. C. P. Nos. 26 and 27 of 1980, dated January 5, 1981, the Tribunal referred the following two common questions for the opinion of this court "1. Whether, on the facts and in the circumstances of the case, and having regard to the provisions of Explanation to rule 1 of the Second Schedule to the Companies (Profits) Surtax Act, 1964, the Appellate Tribunal was correct in holding that the sum of Rs. 3, 70, 000 for the assessment years 1972-73 and 1973-74 representing dividends declared should not be deducted from the capital for the purpose of surtax assessments ? 2. Whether, on the facts and in the circumstances of the case, the Appellate Tribunal was correct in holding that the general reserves as on the first day of the previous year should not be reduced by the amount of dividend declared at a future date at the general body meeting for the purpose of computing the capital under the Companies (Profits) Surtax Act, 1964 ?" * Since the figures given in the questions are not correct, we are reframing the questions as under "Whether, on the facts and in the circumstances of the case and having regard to the provisions of Explanation to rule 1 of the Second Schedule to the Companies (Profits) Surtax Act, 1964, the Appellate Tribunal was correct in holding that Rs. 3, 70, 000 and Rs. 2, 59, 000 for the assessment years 1972-73 and 1973-74 representing dividends declared should not be deducted from the capital for the purpose of surtax assessment ?" A similar question came up for consideration before the Supreme Court in Indian Tube Co. P. Ltd. v. CIT 1992 (194) ITR 102, 1992 (1) JT 112, 1992 (1) Scale 26, 1992 (1) SCR 22, 1992 (101) CTR 446, 1992 (60) TAXMAN 399, 1992 (101) CTR(SC) 446 wherein the Supreme Court affirmed the decision of the High Court in Indian Tube Co. Ltd. v. CIT 1981 (132) ITR 293 Cal) (Appex), and held that though the general body of the shareholders resolved and appropriated the sum of Rs. 76 lakhs towards dividend from the reserve of Rs. 90 lakhs on May 31, 1963, the appropriation related back to the calendar year 1962 to which it related and, as on January 1, 1963, the sum of Rs. 76 lakhs towards dividend from the reserve of Rs. 90 lakhs on May 31, 1963, the appropriation related back to the calendar year 1962 to which it related and, as on January 1, 1963, the sum of Rs. 76 lakhs was a provision and only Rs. 14 lakhs could be treated as a reserve in the computation of capital for the purpose of surtax. In other words, the Supreme Court was of the view that the dividends declared should be deducted from the capital for the purpose of surtax assessment. Accordingly, we answer the question referred to us, in the negative and in favour of the Department.