Roll-over charges for foreign currency contracts have to be capitalized u/s
43A
 
The assessee procured a foreign currency loan for expansion of its existing
business. To ensure availability of foreign currency, the assessee booked
forward contracts with a bank. The contract was for the entire amount and
delivery of foreign currency was obtained from the bank for the installment
due from time to time. The balance value of the contract was rolled over for
a further period up to the date of the next installment. The assessee paid
"roll over premium charges" for the same. The AO disallowed the said charges
on the ground that as it were incurred for purchase of plant & machinery, it
was capital expenditure. The CIT (A) reversed the AO on the ground that the
charges were expenditure for raising a loan and was consequently revenue in
nature. The Tribunal reversed the CIT (A) on the ground that u/s 43A the
expenditure had to be capitalized. The High Court reversed the Tribunal on
the ground that the charges were in the nature of interest or commitment
charges and allowable u/s 36(1) (iii). On appeal
(a) Exchange differences are required to be capitalized if the liabilities
are incurred for acquiring fixed assets like plant and machinery. It is the
purpose for which the loan is raised that is of prime significance. Whether
the purpose of the loan is to finance the fixed asset or working capital is
the question which one needs to answer;
 (b) The cost for carrying forward the contracted foreign currency not
immediately required for repayment is called the roll over charge(s). The
argument that s. 43A applies only to cases where there is a fluctuation in
the rate of exchange and that since roll over charges are paid to avoid
increase or reduction in liability on account of such fluctuation, s. 43A
does not apply has no merit because s. 43A applies to the entire liability
remaining outstanding at the year end and is not restricted merely to the
installments actually paid during the year. Therefore the year-end liability
of the assessee has to be looked into. Further, it cannot be said that roll
over charge has nothing to do with the fluctuation in the rate of exchange.
Roll over charges represent the difference arising on account of change in
foreign exchange rates. Roll over charges paid/ received in respect of
liabilities relating to the acquisition of fixed assets should be debited/
credited to the asset in respect of which liability was incurred. However,
roll over charges not relating to fixed assets should be charged to the
Profit & Loss Account.
Note: This matter best exemplifies the uncertainties of litigation. The AO
was reversed by the CIT (A). The CIT (A) was reversed by the ITAT. The ITAT
was reversed by the High Court and finally the High Court was reversed by
the Supreme Court. As a great jurist lamented "Those who enter this
labyrinth find exit by different paths".

Me on net : http://rajkumaratthenet.blogspot.com/

Virus Warning: Although the I have taken reasonable precautions to ensure no
viruses are present in his email, sender (I) cannot accept responsibility
for any loss or damage arising from the use of this email or attachment."


-- 
You received this message because you are subscribed to the Google Groups 
"Skorydov MyTaxAssistant Member Group" group.
To post to this group, send email to [email protected].
To unsubscribe from this group, send email to 
[email protected].
For more options, visit this group at 
http://groups.google.com/group/skorydovmytaxassistant?hl=en.

Reply via email to