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2012 (7) TMI 1154 - AT - Income Tax

Issues Involved:
The judgment involves issues related to the validity of the jurisdiction of the Assessing Officer u/s 147/148 of the Income Tax Act, addition of investments by partners invoking section 68 of the Act, and levy of interests.

Validity of Jurisdiction u/s 147/148:
The appellant challenged the assessment order made by the Assessing Officer, claiming it was unlawful and invalid due to lack of jurisdiction u/s 147/148 of the Act. The appellant sought to quash the impugned orders on this basis.

Addition of Investments by Partners u/s 68:
The Assessing Officer added amounts contributed by partners as undisclosed income of the assessee firm u/s 68 of the Act. The CIT(A) upheld this addition, stating that the source of the investments was not adequately proven. The appellant contended that the contributions were made by partners before the business commenced and should not be treated as income of the firm.

Levy of Interests:
The appellant disputed the levy of various interests, arguing that the issue had been settled in a previous case and therefore the levy was unjustified. The appellant sought to have the interests cancelled.

Decision:
The Tribunal considered the submissions and evidence presented by both parties. Regarding the addition of investments by partners, the Tribunal referred to a similar case and held that such contributions should be added in the hands of the partners, not the firm. As the partners had contributed the amounts before the business started, the additions were deleted.

For the deposit made by Dr. S.C. Soni, the Tribunal noted that confirmation from the creditor was not obtained due to disputes. The matter was remanded to the Assessing Officer for further investigation to establish the genuineness of the transaction. The appeal was partly allowed, and the decision was pronounced on 16-07-2012.

 

 

 

 

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