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2017 (7) TMI 770 - AT - Income Tax


Issues:
1. Treatment of agricultural income as undisclosed sources.
2. Disallowance of interest on loan.
3. Disallowance of business expenses.

Analysis:

1. The appellant contested the addition of agricultural income as income from undisclosed sources. The appellant claimed agricultural income based on the sale of various produce but failed to provide concrete evidence to support the claim. The Assessing Officer estimated the agricultural income and disallowed a portion of the expenses claimed. The appellant argued that the affidavit provided details of the agricultural income, but the Tribunal found the lack of substantiating evidence to be a crucial factor. The Tribunal upheld the Assessing Officer's decision, emphasizing the necessity of supporting evidence for claims, ultimately dismissing this ground of appeal.

2. The disallowance of interest on a loan was challenged by the appellant, who asserted that the loan was utilized for a partnership business, justifying the interest as a deductible expense under Section 36(1)(iii) of the Income Tax Act. The appellant contended that business activities had commenced, evidenced by purchases made for the business. The Tribunal analyzed the evidence presented, including rent payments and other business-related expenses paid through cheques, to determine the establishment of the business. The Tribunal concluded that the interest expenditure was allowable as a business expense under Section 36(1)(iii) or alternatively under Section 57(iii). Consequently, this ground of appeal was allowed.

3. The appellant challenged the disallowance of business expenses due to the perceived lack of business activity. Building on the previous analysis regarding the establishment of the business, the Tribunal directed that expenses paid through cheques should be allowed, while those incurred in cash should be disallowed due to insufficient substantiation. Acknowledging the evidence of business setup through rent payments and other expenditures, the Tribunal partially allowed this ground of appeal. As a result, the appeal of the assessee was partly allowed by the Tribunal, with specific directions regarding the treatment of business expenses incurred.

 

 

 

 

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