Company can claim expense deduction paid to its unit: ITAT
BG International had filed income tax returns for 2010-11, in which it deducted expenditure of Rs 97.28 crore paid to its Indian subsidiary from a profit of Rs 97.28 crore.

The income tax department served a notice to BG International challenging the return. The company explained, "The transaction between assessee and BG Exploration & Production India Ltd was in the nature of reimbursement of the actual cost and devoid of any element of profit." ITAT held that the income of BGEPIL, the Indian subsidiary, should be computed in terms of section 44BB of the Income-Tax Act, 1961, which mandates that income from provision of services and facilities in connection with the mineral oil business in India will be computed by applying a deemed profit rate of 10 per cent of gross receipts.
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