1. Facts of the Case
- The assessee purchased a residential flat in July 2013, during the Financial Year 2013–2014.
- The purchase was made through a home loan, and the assessee began paying EMIs (principal + interest) immediately after receiving the loan disbursement in FY 2013–14.
- Possession of the house was obtained later, in August 2014 (i.e., in FY 2014–15).
- The assessee wishes to know whether the interest paid during FY 2013–14 (prior to possession) is eligible for deduction in Assessment Year 2014–15.
2. Issues in the Case [Questions]
- Can interest on housing loan paid before possession of a house be claimed as a deduction in the year of payment?
- Does the Income Tax Act, 1961 permit such a claim for the pre-construction period?
- How and when can the pre-possession interest be claimed by the assessee?
3. Legal Principles Covered
A. Section 24(b) of the Income Tax Act, 1961
- This section allows deduction of interest on borrowed capital for purchase, construction, repair, renewal or reconstruction of a property.
- The deduction is subject to a maximum limit of:
- ₹2,00,000 for a self-occupied house (if loan is taken after 01.04.1999),
- Full interest allowed for let-out property (no upper limit).
B. Treatment of Pre-Construction Interest
- The Act distinguishes between:
- Pre-construction period: From the date of borrowing the loan till 31st March immediately before the year of completion/possession.
- Post-construction period: From the date of possession/completion onward.
- As per Section 24(b) and related provisions: Interest for the pre-construction period shall be allowed in five equal instalments beginning from the year in which the construction is completed or the property is acquired.
C. CBDT Clarification
- CBDT Circular No. 363 and judicial pronouncements reaffirm that no interest deduction is permitted prior to possession under Section 24(b).
- However, pre-construction interest can be accumulated and claimed in five equal installments starting from the year in which possession is obtained.
4. Possible Judgement
Based on the above legal framework:
- The interest paid during FY 2013–14 (AY 2014–15) cannot be claimed in that assessment year, since possession was not received in that financial year.
- However, this interest will be considered as “pre-construction interest”, and is eligible to be claimed in five equal installments starting from the year of possession, i.e., AY 2015–16 (FY 2014–15).
- Thus, the assessee can begin claiming 1/5th of the total pre-possession interest from the assessment year following possession, and for the next 4 years thereafter.