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Issues involved: The only issue raised in the appeal is the addition made u/s 40A(3) of the IT Act, 1961.
Summary: The Appellate Tribunal ITAT Kolkata heard three appeals filed by the assessee against separate orders of the CIT(A)-XX, Kolkata for Assessment Years 2003-04, 2004-05, and 2005-06, all related to the addition made u/s 40A(3) of the IT Act, 1961. The AO disallowed 20% of payments made by the assessee through bearer cheques, invoking Section 40A(3). The CIT(A) confirmed the disallowance, stating that the case was not covered by CBDT Circular No.8 of 2006. The assessee contended that they were covered by the circular and requested deletion of the addition. After hearing both parties, the Tribunal observed that a certificate relied upon by the assessee was not available with the CIT(A) and remanded the matter for fresh consideration, directing to segregate cash withdrawals for day-to-day needs from the disallowance u/s 40A(3). The appeals of the assessee were allowed for statistical purposes. This judgment primarily dealt with the interpretation and application of Section 40A(3) of the IT Act, 1961, concerning the disallowance of payments made through bearer cheques. The Tribunal considered the arguments presented by both parties and emphasized the importance of complying with relevant circulars and providing necessary documentation to support claims, ultimately remanding the matter for further review based on the additional certificate provided by the assessee.
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