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Issues Involved:
The validity of re-opening the case, genuineness of gifts received, and charging of interest u/s 234 B of the Act. Issue No. 1: Validity of Re-opening the Case The Assessing Officer (AO) initiated reassessment proceedings u/s 147 of the Act based on information received regarding gifts received by the assessees. The assessees challenged the re-opening before the Ld. CIT (A) on grounds of legality and genuineness of the gifts. The Ld. AR contended that the AO did not apply his mind before issuing the notice u/s 148 and that the gifts were executed before the amendment in the Income Tax Act. The Tribunal found that there was a prima facie belief by the AO of escapement of assessable income, thus upholding the validity of re-opening. The contention of the Ld. AR was rejected, and the related grounds were dismissed. Issue No. 2: Genuineness of Gifts Received The assessees received gifts from Mr. Harish Kumar, which were treated as bogus by the AO based on general statements of the donor. The assessees provided gift deeds and affidavits as evidence, but were not allowed to cross-examine Mr. Harish Kumar. The Tribunal found that Mr. Harish Kumar's statements did not specifically allege the gifts were bogus, and the assessees were not given a fair opportunity to cross-examine him. Relying on legal precedents, the Tribunal set aside the matter to allow the assessees to cross-examine Mr. Harish Kumar and consider if the donor had already paid tax on the gifted amount. The grounds related to this issue were allowed for statistical purposes. The Tribunal partially allowed the appeals, emphasizing the need for a fair opportunity for cross-examination and consideration of tax payment by the donor. The matter was remanded to the AO for further examination.
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