Professional and consultancy charges incurred during acquisition of companies cannot be treated as revenue expenses

Professional and consultancy charges incurred during acquisition of companies cannot be treated as revenue expenses

Professional and consultancy charges incurred during acquisition of companies cannot be treated as revenue expenses In M/s. Steer Engineering Pvt. Lt…

authorA2ZBimal JaindateJul 26, 2021
Last update on Jul 26, 2021
Professional and consultancy charges incurred during acquisition of companies cannot be treated as revenue expenses In M/s. Steer Engineering Pvt. Ltd. v. The Addl. Commissioner of Income Tax [ITA No. 2070/Bang/2018 decided on July 22, 2021], M/s. Steer Engineering Pvt. Ltd. (“the Appellant”) acquired the business of two companies namely Concord United Products Pvt. Ltd., and M/s. Aditya Precision Deposition Moulding Pvt. Ltd. and incurred Rs.1,20,820/- as professional fees for drafting business transfer agreements and legal opinions. The Appellant claimed it as revenue expenditure. Assessing Officer (“AO”) - Disallowed by holding it to be capital in nature. Commissioner (Appeals) (“the Respondent”) - Upheld the order of the AO. Being aggrieved the Appellant approached the ITAT for relief. The ITAT, Bengaluru - Upheld the ruling of the Respondent and AO, observed that the nature of expenditure incurred in the acquisition of two companies by the Appellant is of capital expenditure. Further, relied on the Hon’ble Supreme Court case of Alembic Chemical Works Co. Ltd., Vs. CIT [(1989) 177 ITR 377] and opined that professional and consultancy charges incurred by the Appellant for acquisition of the two companies can’t be treated as revenue in nature. DISCLAIMER: The views expressed are strictly of the author and A2Z Taxcorp LLP. The contents of this article are solely for informational purpose. It does not constitute professional advice or recommendation of firm. Neither the author nor firm and its affiliates accepts any liabilities for any loss or damage of any kind arising out of any information in this article nor for any actions taken in reliance thereon.

About Author

A2ZBimal Jain

Chartered Accountant

CA Bimal Jain is a Member of Institute of Chartered Accountants of India since May 1994 and Member of Institute of Company Secretaries of India since December 2006 along with a Bachelors degree in Law. Also, he is a Qualified SAP - FI/CO Consultant and has more than 21 years of experience in Indirect Taxation and specializes in all aspects of Service Tax, Value Added Tax (VAT)/ Central Sales Tax (CST), Central Excise, Customs, Foreign Trade Policy (FTP), Special Economic Zone (SEZ), Export Oriented Unit (EOU), Export-Import Laws and well acquainted with the concept and impact of way forward Goods and Services tax (GST).
A2Z Taxcorp LLP
Delhi, Delhi, India
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