CA NeWs Beta*: Expenditure on ‘Application Software’ is revenue in nature

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Monday, November 7, 2011

Expenditure on ‘Application Software’ is revenue in nature

The assessee, engaged in manufacturing safety glass, entered into an agreement with Arthur Anderson for installation of the “Oracle” software application for financial accounting, inventory and purchase. A Master Software Licence and Services Agreement was also entered into with Oracle. The assessee incurred expenditure of Rs. 1.36 crores & Rs. 1.70 crores in AY 1997-98 & 1998-99. While in the books the expenditure for AY 1997-98 was capitalized, the expenditure for AY 1998-99 was treated as “deferred revenue expenditure”. The AO rejected the claim for deduction of the entire expenditure on the ground that it had resulted in “enduring benefit” and was “capital” in nature though the CIT (A) & Tribunal allowed the claim on the ground that the expenditure had not resulted in creation of new asset or a new source of income. On appeal by the department to the High Court, HELD dismissing the appeal:
For further details refer to:
http://praveenboda.blogspot.com/2011/11/expenditure-on-application-software-is.html

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