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2021 (4) TMI 685 - AT - Income Tax


Issues Involved:
1. Rectification of mistakes apparent from the record under Section 254(2) of the Income-tax Act, 1961.
2. Substantive vs. protective basis of income assessment.
3. Validity of the Commissioner of Income-tax (Appeals) [CIT(A)]'s decision.
4. Clubbing of income of family members.
5. Appeals and cross-appeals in income tax assessments.

Detailed Analysis:

1. Rectification of Mistakes Apparent from the Record:
The Revenue filed a batch of fifteen Miscellaneous Applications (MAs) seeking rectification of mistakes under Section 254(2) of the Income-tax Act, 1961. The main grievance was that the tribunal erroneously reversed the CIT(A)'s order, which had dismissed the assessee's appeal. The tribunal's decision was based on the fact that the CIT(A) had upheld the assessment on a substantive basis in the case of Mr. Siya Ram Gupta and dismissed the protective assessments in other cases.

2. Substantive vs. Protective Basis of Income Assessment:
The Revenue contended that the tribunal erred in holding that the CIT(A) should have allowed the assessee's appeal because the income was already assessed on a substantive basis in the hands of Mr. Siya Ram Gupta. The CIT(A) had dismissed the appeal of the assessee on the grounds that the protective assessment did not stand once the substantive assessment was upheld.

3. Validity of the CIT(A)'s Decision:
The tribunal reviewed the CIT(A)'s decision, which had dismissed the appeal of the assessee on the grounds that the income assessed on a protective basis did not stand as it was already assessed on a substantive basis in the hands of Mr. Siya Ram Gupta. The tribunal held that the CIT(A) was correct in dismissing the appeal since the substantive assessment was upheld.

4. Clubbing of Income of Family Members:
The CIT(A) had upheld the clubbing of income of various family members in the hands of Mr. Siya Ram Gupta based on the fact that he had admitted the income belonged to him during the search and seizure operation. The tribunal agreed with the CIT(A) that the income of the family members should be assessed in the hands of Mr. Siya Ram Gupta and dismissed the protective assessments in the hands of other family members.

5. Appeals and Cross-Appeals in Income Tax Assessments:
The tribunal noted that the assessee did not raise any grounds before the CIT(A) challenging the addition on protective grounds, and thus, the CIT(A) had no occasion to allow the appeal. The tribunal modified its order to reflect that the CIT(A) had rightly dismissed the appeal as the protective assessment had no standing once the substantive assessment was confirmed.

Specific Judgments for Each MA:
- MA No. 09/Alld/2012: Allowed, modifying the tribunal's order to reflect that the CIT(A) rightly dismissed the appeal as the protective assessment had no standing.
- MA No. 05/Alld/2012 to MA No. 16/Alld/2012: Allowed, applying the same reasoning as in MA No. 09/Alld/2012.
- MA Nos. 48-50/Alld/2016: Dismissed, rejecting the assessee's contention that the income of family members should not be assessed in his hands, as the tribunal had already held that the income should be assessed in the hands of Mr. Siya Ram Gupta.

Conclusion:
The tribunal allowed all twelve MAs filed by the Revenue, confirming that the CIT(A) rightly dismissed the appeals as the protective assessments had no standing once the substantive assessments were confirmed. The three MAs filed by the assessee were dismissed, upholding the tribunal's earlier decision that the income of family members should be assessed in the hands of Mr. Siya Ram Gupta.

 

 

 

 

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