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Issues involved: Appeal against common order passed by CIT(Appeals)-38, Mumbai for assessment years 2001-02 to 2003-04 and 2005-06 u/s 143(3) read with section 153A.
Facts in brief: Search and seizure action u/s 132(1) conducted in the case of M/s Rohan Group revealed low withdrawals for household expenses by the assessee's family. Assessee voluntarily offered amounts for taxation due to insufficient withdrawals. AO added a sum to the income considering family size and social status. Assessee challenged the addition as arbitrary. Assessment years 2001-02, 2002-03, 2003-04: Assessee voluntarily offered amounts for taxation. AO adjudicated the sufficiency of disclosures. Tribunal sustained additions for these years due to significant variation in withdrawals for 2005-06 compared to other years. Assessment year 2005-06: Substantial withdrawals of approximately &8377; 40.92 lakhs justified no further addition. Grounds of appeal allowed for this year. Assessment year 2003-04: Addition of &8377; 1,00,000 on account of bogus loan was confirmed by CIT(Appeals). Tribunal found no merit in the revenue authorities' conclusions, allowing the appeal for this year. Conclusion: Appeals for assessment years 2001-02 and 2002-03 dismissed, appeal for 2003-04 allowed in part, and appeal for 2005-06 allowed.
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