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2018 (6) TMI 1731 - AT - Income Tax


Issues Involved:
1. Unaccounted Expenditure of ?1.61 Crores
2. Rectification Order and Set Off of Brought Forward Losses
3. Addition of ?50,59,040 as Unexplained Expenditure

Detailed Analysis:

I. Unaccounted Expenditure (UE) of ?1.61 Crores:
Facts and Arguments:
- The assessee, a property development company, was subjected to a survey under Section 133A of the Income Tax Act, revealing unaccounted transactions and undisclosed income.
- The AO added ?1.61 crores as unexplained expenditure under Section 69C based on discrepancies in unaccounted cash receipts and payments.
- The assessee argued for downward adjustments of the unaccounted expenditure from ?4,25,58,303 to ?3,28,04,337, citing duplicate entries and cash handled by the Managing Director (MD) for safekeeping.
- The CIT(A) allowed a partial adjustment of ?14,58,222 for duplicate entries but denied the adjustment for ?82,94,744 handled by the MD.

Tribunal's Decision:
- The Tribunal found that the figures emanated from the impounded material and the safe-keeping explanation was justified.
- The Tribunal allowed the adjustment of ?82,94,744, reducing the net unaccounted expenditure to ?3,28,05,337.
- It was concluded that the excess expenditure spent outside the books was ?15,46,095, which was confirmed for addition instead of ?1.61 crores.
- The Tribunal rejected the applicability of Section 40A(3) for cash payments and allowed the business expenditure under Section 37(1).

II. Rectification Order and Set Off of Brought Forward Losses:
Facts and Arguments:
- The assessee appealed against the CIT(A)'s rectification order that denied the set-off of brought forward losses of ?1.04 crores from A.Y. 2004-05.
- The CIT(A) had originally directed the AO to allow the set-off "in accordance with law" but later expunged this direction, stating the losses were not crystallized.

Tribunal's Decision:
- The Tribunal upheld the CIT(A)'s decision, agreeing that the set-off was not permissible as the losses were not crystallized and could not be set off against deemed income.

III. Addition of ?50,59,040 as Unexplained Expenditure:
Facts and Arguments:
- The AO added ?50,59,040 as unexplained expenditure related to the sale of a property to Mr. Dheeraj Keshwani, which included additional works reimbursed by the assessee.
- The CIT(A) deleted this addition, accepting the assessee's claim that the expenditure was capitalized and reimbursed through account payee cheques.

Tribunal's Decision:
- The Tribunal found no dispute about the sale and the reimbursement through account payee cheques.
- The Tribunal upheld the CIT(A)'s decision, confirming that the expenditure was correctly capitalized and did not call for any addition.

Conclusion:
- ITA No.597/PUN/2013: Partly allowed, confirming the addition of ?15,46,095 instead of ?1.61 crores.
- ITA No.1609/PUN/2014: Dismissed, upholding the rectification order denying the set-off of brought forward losses.
- ITA No.767/PUN/2013: Dismissed, upholding the deletion of the addition of ?50,59,040.

 

 

 

 

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