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2011 (9) TMI 1106 - AT - Income Tax

Issues involved: Appeal by Revenue against CIT(A) order regarding deletion of notional interest on security deposit from annual letting value u/s 23(1)(a) for AY 2001-02.

Summary:

1. The Assessee, a company engaged in letting out properties, claimed income as "Income from Business" but AO assessed it as "Income from House Property." Dispute arose over determination of annual value of property for income calculation. AO added notional interest on interest-free security deposit to actual rent received, resulting in higher annual value. CIT(A) held notional interest cannot be added u/s 23(1)(a). Revenue appealed.

2. Full Bench of Delhi High Court in CIT Vs. Moni Kumar Subba clarified that notional interest on security deposit cannot be determinative factor for fair rent u/s 23(1)(a). Municipal valuation can be basis for determining annual letting value (ALV). Extraneous circumstances may affect fair rent determination. Similar view by Bombay High Court in related cases.

3. In this case, AO's addition of notional interest to actual rent for determining ALV u/s 23(1)(a) was incorrect. Only municipal valuation is relevant for this purpose. CIT(A)'s decision upheld. Revenue's appeal dismissed.

Judgment: Appeal dismissed, CIT(A)'s order upheld.

 

 

 

 

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