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2010 (11) TMI 949 - HC - Income Tax

Issues Involved:
1. Whether the Tribunal was correct in deleting the addition of Rs. 6,01,414/- as undisclosed salary income u/s 158BB(1)(c) of the Income Tax Act, 1961.
2. Whether the Tribunal was correct in restricting the addition on account of unexplained cash to Rs. 1,19,210/- against Rs. 6,34,210/- worked out by the Assessing Officer.

Summary:

Issue 1: Undisclosed Salary Income
The appellant revenue challenged the Tribunal's order deleting the addition of Rs. 6,01,414/- as undisclosed salary income. The Assessing Officer argued that since the assessee had not filed returns for the block period, the entire income should be treated as undisclosed u/s 158BB(1)(c). The assessee contended that tax had been deducted at source (TDS) from his salary, and hence, the income was disclosed. The Tribunal found that the salary income, subject to TDS, could not be considered undisclosed. The Tribunal relied on various High Court decisions, including Surendra Kumar Lahoti vs. Assistant Commissioner of Income-Tax and Commissioner of Income-Tax vs. Ashok Taksali, which held that income with TDS deducted falls outside the purview of undisclosed income. The High Court upheld the Tribunal's decision, stating that salary income with TDS cannot be treated as undisclosed income u/s 158B(b).

Issue 2: Unexplained Cash
The Assessing Officer estimated household expenses at Rs. 7,20,000/- for the block period and found a shortage of Rs. 6,34,210/-, treating it as undisclosed income. The Commissioner (Appeals) revised the estimate, considering the lifestyle and agricultural income, and reduced the unexplained cash to Rs. 1,19,210/-. The Tribunal found the revised estimate reasonable and upheld it. The High Court agreed, noting that the addition was based on estimates and did not raise a question of law.

Conclusion
The High Court dismissed the appeal, finding no legal error in the Tribunal's order and no substantial question of law arising from it.

 

 

 

 

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