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2010 (11) TMI 973 - AT - Income Tax

Issues involved: Calculation of peak credit against cash deposits in bank account u/s 144 of the IT Act for assessment year 2007-08.

The assessment was conducted u/s 144 of the IT Act for an assessee who was a cattle dealer. The assessee declared a net profit of &8377; 98,560. The Assessing Officer observed cash deposits of &8377; 11,31,600 in the assessee's Axis Bank account, with no explanation provided. Consequently, the entire amount was added to the assessee's income.

Before the Ld. Commissioner of Income Tax (Appeals), the assessee, a cattle dealer also involved in dairy business, claimed to lack education and daily record-keeping habits. The Ld. Commissioner noted that the bank account showed a maximum deposit of &8377; 1,00,000 at one instance, with a maximum balance of &8377; 1,30,000 on 20.11.2006. The account was opened on 15.11.2006, and a pattern of cash deposits and withdrawals was evident throughout the relevant assessment year. The Ld. Commissioner found the Assessing Officer's treatment of the &8377; 11,31,600 cash as unexplained to be improper. Considering the maximum balance and declared income of &8377; 98,560, the Ld. Commissioner determined the peak credit minus income to be &8377; 31,440. Thus, the addition was affirmed at &8377; 31,440 only.

Upon appeal by the revenue, the ITAT Delhi considered the matter. The Tribunal concurred with the Ld. Commissioner's findings, noting the series of transactions in the bank account and the maximum balance of &8377; 1,30,000. The Ld. Commissioner's approach of taking this amount as peak credit and deducting the declared income was upheld by the Tribunal, finding no fault in the decision. Consequently, the appeal by the revenue was dismissed.

In conclusion, the ITAT Delhi upheld the Ld. Commissioner's decision regarding the calculation of peak credit against cash deposits in the bank account u/s 144 of the IT Act for the assessment year 2007-08, affirming the addition at &8377; 31,440 and dismissing the revenue's appeal.

 

 

 

 

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