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Issues:
1. Deletion of addition of interest on interest-free advances by the assessee. 2. Deletion of addition made on account of low household withdrawals. Issue 1: Deletion of addition of interest on interest-free advances by the assessee: The Assessing Officer disallowed interest of Rs. 46,408 on the grounds that the assessee deposited a sum without interest with a company where a loan was taken in an earlier year. The Assessing Officer believed the money was not used for business purposes. However, the learned CIT(A) accepted the argument that since the loan was not raised during the year under consideration and no nexus between borrowing and lending was proved, the disallowance was unwarranted. The learned AR argued that the assessee had both interest-bearing and interest-free loans, with no proven diversion of funds for non-business purposes. The Tribunal found that the loans were old, with interest paid for many years, and no nexus between borrowed funds and advances made was established. The Tribunal concluded that the learned CIT(A) rightly deleted the addition, citing relevant case law and rejecting the Revenue's appeal. Issue 2: Deletion of addition made on account of low household withdrawals: The second ground of appeal related to the deletion of an addition of Rs. 31,700 made on account of low household withdrawals. The learned CIT(A) deleted the addition based on the argument that there was no basis for the addition, and past additions on estimates were also deleted. The decision was influenced by previous ITAT orders for other assessment years where similar additions were deleted. The Tribunal, after considering the arguments, found no reason to interfere with the learned CIT(A)'s decision and confirmed the deletion of the addition. Therefore, the Tribunal dismissed the appeal, upholding the deletion of the addition made on account of low household withdrawals. In conclusion, the Appellate Tribunal ITAT CHANDIGARH, in the cited judgment, addressed two main issues - the deletion of the addition of interest on interest-free advances and the deletion of the addition made on account of low household withdrawals. The Tribunal upheld the decisions of the learned CIT(A) in both instances, dismissing the Revenue's appeal.
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