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2018 (10) TMI 1625 - AT - Income Tax


Issues Involved:
1. Addition of unsecured loans under Section 68 of the Income Tax Act.
2. Addition on account of agricultural income.
3. Addition of unexplained election expenditure.
4. Unexplained investment in land.
5. Unexplained investment in Fixed Deposit Receipts (FDRs).

Detailed Analysis:

1. Addition of Unsecured Loans under Section 68 of the Income Tax Act:
The issue pertains to the assessment years (AYs) 2008-09 to 2010-11. The Assessing Officer (AO) added various amounts as unexplained loans due to the assessee's failure to prove the genuineness and creditworthiness of the creditors. The CIT(A) granted partial relief, confirming some additions while deleting others. The Tribunal found inconsistencies in the documentation and creditworthiness of the creditors and decided to remand the issue back to the AO for a fresh adjudication.

2. Addition on Account of Agricultural Income:
This issue is relevant for AYs 2008-09 to 2010-11. The AO determined the net agricultural income at 40% of the gross agricultural income, while the CIT(A) increased this to 65%. The Tribunal upheld the CIT(A)'s decision, considering it reasonable given the adhocism involved.

3. Addition of Unexplained Election Expenditure:
The AO made additions for AYs 2007-08 and 2010-11 based on seized documents indicating unaccounted election expenses. The CIT(A) deleted these additions, noting that the assessee had already offered additional income before the Income Tax Settlement Commission (ITSC) covering these expenses. The Tribunal remanded the issue back to the AO for a fresh examination, directing the AO to consider the ITSC's order and the disclosures made by the assessee.

4. Unexplained Investment in Land:
For AY 2007-08, the AO added ?10 lakhs as unexplained investment based on a seized receipt. The CIT(A) confirmed this addition, rejecting the assessee's claim that the amount was a bad debt. The Tribunal remanded the issue back to the AO to examine whether the assessee was engaged in money lending and the circumstances under which the amount became irrecoverable.

5. Unexplained Investment in Fixed Deposit Receipts (FDRs):
For AY 2007-08, the AO added ?2,30,970 as unexplained investment in FDRs. The CIT(A) confirmed the addition, noting the lack of cash flow statements to substantiate the source of the FDRs. The Tribunal remanded the issue back to the AO, directing to examine the cash flow statements and the source of funds for the FDRs.

Conclusion:
The Tribunal remanded the issues of unsecured loans, unexplained election expenditure, unexplained investment in land, and unexplained investment in FDRs back to the AO for fresh adjudication. The addition on account of agricultural income was upheld as determined by the CIT(A). Both the assessee's and the Revenue's appeals were allowed for statistical purposes, requiring further examination by the AO.

 

 

 

 

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