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2016 (1) TMI 411 - AT - Income Tax


Issues Involved:
1. Addition of Rs. 13 lakhs disbelieving the claim of Rs. 18 lakhs as agricultural income.
2. Addition of Rs. 2,98,000 claimed to have been withdrawn from a cash credit account.
3. Disbelief in loans from various creditors amounting to Rs. 33 lakhs.

Detailed Analysis:

1. Addition of Rs. 13 Lakhs Disbelieving the Claim of Rs. 18 Lakhs as Agricultural Income
The assessee claimed an agricultural income of Rs. 18 lakhs, but the AO accepted only Rs. 5 lakhs as reasonable savings, treating the remaining Rs. 13 lakhs as unexplained investment. The AO's skepticism was based on the belief that substantial savings would have been banked rather than kept in cash. Despite the assessee and her family holding 52 acres of land and having a certificate from the Village Accountant, the AO found it improbable that such a large amount would be kept in cash. The CIT (A) affirmed this view. The Tribunal upheld the AO's decision, noting that it was difficult to believe that a person with a bank account would keep Rs. 18 lakhs in cash at home. Thus, the addition of Rs. 13 lakhs was justified.

2. Addition of Rs. 2,98,000 Claimed to Have Been Withdrawn from a Cash Credit Account
The assessee withdrew Rs. 2,98,000 from a cash credit account in August and September 2005, claiming it as a source for the property purchase in December 2006. The AO and CIT (A) did not accept this due to the time gap of over a year. The Tribunal agreed, stating that it was improbable for someone to take an interest-bearing loan and keep it as cash for over a year. The addition of Rs. 2.98 lakhs was thus upheld.

3. Disbelief in Loans from Various Creditors Amounting to Rs. 33 Lakhs
The loans from multiple creditors were scrutinized:

- Kanakadasa Shikshana Samithi (Rs. 7 lakhs): The AO disbelieved this loan due to a time gap and the indirect borrowing through the assessee's husband. However, the Tribunal found the gap of 4-5 months reasonable and noted that the loan was confirmed by the President of the Samithi. Thus, the addition of Rs. 7 lakhs was deleted.

- Veeranna S. Sajjanar and Smt. Girijadari V. Sajjanar (Rs. 8 lakhs): Despite the creditors having substantial agricultural holdings, the AO doubted their ability to save and lend Rs. 8 lakhs, especially without banking the money. The Tribunal upheld this view, noting the improbability of keeping such large sums in cash.

- Shivappa H. Neeralgi (Rs. 5 lakhs): Similar to the previous case, the AO and Tribunal found it improbable that the creditor saved and kept Rs. 5 lakhs in cash without banking it, despite having substantial agricultural income.

- Allasab H. Kadad (Rs. 5 lakhs): The Tribunal upheld the AO's disbelief, noting the improbability of accumulating and keeping such a large amount in cash without banking it.

- Devappa G. Kadi (Rs. 5 lakhs): The Tribunal found the situation similar to the other cases and upheld the addition, doubting the genuineness of the transaction.

The Tribunal emphasized that while the identity and creditworthiness of the creditors were established, the genuineness of the transactions was not. The absence of banking facilities within a reasonable vicinity was not a sufficient explanation for keeping large sums in cash.

Conclusion
The appeal was partly allowed. The Tribunal upheld the additions of Rs. 13 lakhs, Rs. 2.98 lakhs, and loans amounting to Rs. 23 lakhs from various creditors, except for the Rs. 7 lakhs loan from Kanakadasa Shikshana Samithi, which was deleted. The decision was pronounced in the open court on 18th November 2015.

 

 

 

 

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