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Issues involved: Assessment u/s 153A of the Income-Tax Act, valuation of property u/s 142(1A), additions u/s 69 as unexplained investment, appeal u/s 260-A.
In the present cases, assessments were conducted u/s 153A of the Income-Tax Act following searches at the premises of the assessees u/s 132. The Assessing Officer noted that a property was acquired by certain individuals at a cost of Rs. 62,50,000, which was rented to Indian Overseas Bank. The property was jointly purchased with different shares given to different assessees. The matter was referred to the Valuation Cell u/s 142(1A), and based on the valuation provided by the Valuer, additions were made u/s 69 as unexplained investment. The CIT (A) deleted these additions, a decision upheld by the ITAT. Subsequently, the ITAT decided the cases of all joint owners, including Smt. Suraj Devi, Sh. Sushil Kumar Aggarwal, late Sh. Shiv Narain Aggarwal, etc. An appeal was filed by the Department in Smt. Suraj Devi's case u/s 260-A, which was dismissed by a Division Bench of the High Court. Consequently, appeals of other co-owners/assessees were also dismissed. The present appeals were dismissed on the basis that no question of law arises from these cases.
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