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Issues involved: Appeal against order dated 11.12.06 passed by CIT(A) for assessment year 1994-95 u/s 250(6) of the Income-tax Act, 1961.
Ground 1: Ad-hoc disallowance of Rs. 50,000/- out of business promotion and general expenses was made by AO and upheld by CIT(A). The addition lacked precise quantification and was based on surmises without corroborative evidence. Citing various Supreme Court decisions, the Tribunal held such subjective additions unsustainable and deleted the same. Ground 2: Concerns the treatment of Fine Installments (FIPL) and Handsome Investment P. Ltd. (HIPL) as separate legal entities. The Tribunal referenced a previous decision and reiterated the principle that investment companies are distinct entities, emphasizing arms' length transactions and adherence to legal formalities. As the issue was already addressed in a prior ruling, no further adjudication was deemed necessary. Ground 3: Following the discussion on Ground 2, the issue raised in Ground 3 was rendered moot and required no further consideration. Conclusion: The appeal was allowed, and the order was pronounced in open court on 27.06.2008.
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