आयकर अपीलȣय अͬधकरण, कोलकाता पीठ ‘बी’, कोलकाता IN THE INCOME TAX APPELLATE TRIBUNAL “B” BENCH KOLKATA Įी संजय गग[, ÛयाǓयक सदèय एवं Įी मनीष बोरड, लेखा सदèय के सम¢ Before Shri Sanjay Garg, Judicial Member and Dr. Manish Borad, Accountant Member I.T.A No.236/Kol/2023 Assessment year: 2013-14 JCIT(OSD), Circle-11, Kolkata...........................................................Appellant vs. M/s Snowtex Investment Ltd..........................................................Respondent South West Block, 4 th Floor, Viswakarma Building, 86C, Topsia Road, Topsia, Kolkata-700046. [PAN: AAECS0334C] Appearances by: None appeared on behalf of the appellant. Shri Ravi Tulsiyan, FCA, appeared on behalf of the Respondent. Date of concluding the hearing : May 16, 2023 Date of pronouncing the order : June 09, 2023 आदेश / ORDER संजय गग[, ÛयाǓयक सदèय ɮवारा / Per Sanjay Garg, Judicial Member: The present appeal has been preferred by the revenue against the order dated 26.10.2022 of the National Faceless Appeal Centre (hereinafter referred to as the ‘CIT(A)’) passed u/s 250 of the Income Tax Act (hereinafter referred to as the ‘Act’). 2. The sole issue raised by the Revenue through its grounds of appeal is relating to the action of the CIT(A) in deleting the addition of Rs.1,81,13,622/- made by the Assessing Officer on account of proportionate disallowance of interest expenditure in respect of interest free loans given by the assessee. I.T.A No.236/Kol/2023 Assessment year: 2013-14 M/s Snowtex Investment Ltd 2 3. The Assessing Officer during the assessment proceedings noted that the assessee had debited Rs.5,00,41,978/- towards interest on loan. He noted that the assessee had interest bearing loans of Rs.34.34 crores. He further noted that the assessee had made interest free loans and advances of Rs.12.43 crores. The Assessing Officer further noted that even some of the funds were advanced by the assessee to the sister concern at a lower interest rate of 10% as against the interest paid @13.5%. On being asked to explain, the assessee submitted that the aforesaid loan and advances/investments were made for business purposes. However, the Assessing Officer did not agree with the aforesaid contention of the assessee and held that the said interest free advances were not incidental to the business activity of the assessee. He in this respect has relied upon the decision of this Tribunal dated 06.11.2015 passed in own case of the assessee for earlier assessment year 2008-09 in ITA No.356/Kol/2012 and observed that in the earlier year, under similar facts and circumstances, the ITAT had confirmed the proportionate disallowance of interest in respect of interest free advances made by the assessee out of interest bearing funds. 4. Before the ld. CIT(A), the assessee filed written submissions to the effect that the interest free funds available with the assessee were sufficient to meet the interest free advances/investments made by the assessee. It was also pleaded that the aforesaid interest free advances/investments were made for business purposes. The ld. CIT(A) considering the above submissions of the assessee deleted the additions so made by the Assessing Officer. The Revenue thus come in appeal before us. 5. At the outset, the ld. counsel for the assessee has invited our attention to the order of the Tribunal dated 06.11.2015 (supra) to submit I.T.A No.236/Kol/2023 Assessment year: 2013-14 M/s Snowtex Investment Ltd 3 that the Assessing Officer has wrongly noted that in earlier year, the Tribunal in similar facts and circumstances has confirmed the disallowance of proportionate interest expenditure in respect of interest free advances. He invited our attention to para 3 onwards of the order of the Tribunal to submit that the Tribunal after considering the entire facts and circumstances of the case has in fact confirmed the order of the CIT(A) deleting the additions made by the Assessing Officer on this issue. He, therefore, has submitted that the issue is squarely covered in favour of the assessee by the aforesaid decision of the Tribunal in the own case of the assessee for earlier assessment year. The ld. counsel has further demonstrated that the own funds/interest free available with the assessee were sufficient to meet the interest free advances/investments made by the assessee. He, in this respect, has brought our attention to the financials of the assessee to explain that as per the Assessing Officer, the assessee had total interest bearing borrowings of Rs. 34.34 crores as on 31.03.2013, however, the assessee had advanced interest bearing loan of Rs.47.09 crores to other parties and further the interest free share application money of Rs.4.27 crores was available with the assessee. He has demonstrated that the total interest bearing borrowings of the assessee were at Rs.34.34 crores, whereas, the total loans and advances including interest free advances and share application money of the assessee was at Rs.67.03 crores and apart from that, the assessee had interest free funds in the form of trade payables of Rs.37.05 crores. The ld. counsel has submitted that the issue is squarely covered by the recent decision of the Hon’ble Supreme Court in the case of CIT (LTU) v. Reliance Industries Ltd. reported in (2019) 410 ITR 466, wherein, the Hon’ble Supreme Court confirmed the proposition of law that if the own funds/interest free funds are available with the assessee to meet the investment, presumption will be that the assessee has used own interest I.T.A No.236/Kol/2023 Assessment year: 2013-14 M/s Snowtex Investment Ltd 4 free funds for the said investment. In view of this, we do not find any infirmity in the order of the CIT(A). 6. In the result, the appeal of the Revenue is hereby dismissed. Kolkata, the 9 th June, 2023. Sd/- Sd/- [डॉÈटर मनीष बोरड /Dr. Manish Borad] [संजय गग[ /Sanjay Garg] लेखा सदèय /Accountant Member ÛयाǓयक सदèय /Judicial Member Dated: 09.06.2023. RS Copy of the order forwarded to: 1. JCIT(OSD), Circle-11, Kolkata 2. M/s Snowtex Investment Ltd. 3. CIT(A)- 4. CIT- , 5. CIT(DR), //True copy// By order Assistant Registrar, Kolkata Benches