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Issues Involved:
1. Deduction of various expenditures claimed by the assessee. 2. Addition on account of sundry creditors not proved. 3. Disallowance of brokerage expenses. 4. Disallowance of advertisement expenses. 5. Disallowance of architect's fee and other development expenses. Issue-wise Detailed Analysis: 1. Deduction of Various Expenditures Claimed by the Assessee: For the assessment year 1996-97, the assessee declared a loss of Rs. 4,71,480, claiming deductions for various expenses totaling Rs. 5,83,501. The Assessing Officer disallowed these expenses, concluding that the company had not commenced the sale of its construction and the claimed expenses were not satisfactorily justified. The CIT (Appeals) allowed these expenses, treating them as revenue expenditure not directly related to land development. The Tribunal directed the Assessing Officer to allow deductions only for expenses directly related to the receipt of Rs. 82,481 offered for assessment. 2. Addition on Account of Sundry Creditors Not Proved: For the assessment year 1997-98, the Assessing Officer added Rs. 1,31,31,392 due to unproven sundry creditors. The CIT (Appeals) restored this issue to the Assessing Officer for further verification. 3. Disallowance of Brokerage Expenses: The Assessing Officer disallowed Rs. 31,58,100 out of Rs. 66,55,850 claimed as brokerage expenses, citing lack of confirmation and details of services rendered. The CIT (Appeals) deleted this disallowance, noting that the brokerage was related to collections during the year. The Tribunal restored this matter to the Assessing Officer, allowing deductions only for expenses incurred on behalf of other associate companies. 4. Disallowance of Advertisement Expenses: The Assessing Officer disallowed Rs. 5,10,000 out of Rs. 15,40,870 claimed for advertisement expenses, including Rs. 10,000 paid to the Delhi District Cricket Association. The CIT (Appeals) deleted this disallowance, recognizing the expenses as related to advertisement and publicity for selling plots/flats. The Tribunal restored this issue to the Assessing Officer for further verification. 5. Disallowance of Architect's Fee and Other Development Expenses: The Assessing Officer disallowed Rs. 1.25 crores, including Rs. 25 lakhs as architect's fee, citing lack of proof for the genuineness of the expenses. The CIT (Appeals) deleted this disallowance, noting that the expenses were properly vouched and the assessee maintained audited books. The Tribunal upheld the CIT (Appeals) decision, noting that the issue is open for adjudication in the year the deduction is claimed. Conclusion: The Tribunal partly allowed the revenue's appeals for both assessment years, directing the Assessing Officer to verify and allow deductions only for specific expenses directly related to the receipts offered for assessment and incurred on behalf of associate companies.
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