Home
Issues involved:
The judgment deals with the issue of addition of gifts claimed by the assessee from eight parties, the genuineness of which was not proven, leading to a tax liability increase. Summary: The respondent, a colonizer, declared an income of &8377; 29,890/- in the assessment year 1986-87 and claimed cash credits totaling &8377; 90,000/- as gifts from eight parties. The Assessing Officer added the &8377; 90,000/- to the income, resulting in a tax liability of &8377; 53,312/-. The Commissioner of Income Tax (Appeals) upheld the addition, but the Tribunal entertained the appeal. The Tribunal considered that the gift memorandums were filed, gift tax assessments were done in the same ward, and affidavits were submitted. Therefore, the Tribunal set aside the addition made by the Assessing Officer and the Commissioner of Income Tax (Appeals). The Court noted that there were two possible views in the case and that the tax liability was &8377; 53,312/-. Referring to a circular by the Central Board of Direct Taxes, which suggests not appealing matters with tax liabilities less than &8377; 5,00,000/-, the Court decided not to interfere. It was also observed that the case did not involve a substantial question of law warranting consideration. Consequently, the appeal was dismissed.
|