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2018 (11) TMI 392 - AT - Income Tax


Issues involved:
1. Relief of 50% of total addition on account of bogus expenses and receipts from M/s ESAJV
2. Deletion of addition made on account of unexplained cash deposits
3. Deletion of addition made on account of unexplained share premium
4. Deletion of addition made on account of bogus expenses

Analysis:

1. The first issue pertains to the relief granted by the Ld. CIT(A) in allowing 50% of the total addition of ?33,09,000 made by the AO on account of bogus expenses and receipts from M/s ESAJV. The Tribunal upheld the relief based on a similar case precedent and directed the Assessing Officer to delete the entire addition as the amount was already included in the assessee's income.

2. The second issue concerns the deletion of the addition of ?24,37,500 made by the AO on account of unexplained cash deposits. The Tribunal found this addition unsustainable as the cash deposits were in line with the books of accounts maintained by the assessee, following a similar decision in a previous case. Consequently, the Tribunal upheld the deletion of this addition.

3. The third issue revolves around the deletion of the addition of ?19,75,000 made by the AO on account of unexplained share premium. The AO considered the share premium as unaccounted income due to lack of details provided by the assessee. However, the Tribunal upheld the deletion of this addition by noting that the share premium was an opening balance from previous years and no increase occurred during the relevant year, rendering Section 68 inapplicable.

4. The fourth issue addresses the deletion of the addition of ?36,30,143 made by the AO on account of bogus expenses. The Tribunal found that the AO's observations were factually incorrect and arbitrary, as the assessee had provided all necessary details and evidence to support the expenses incurred in the regular course of business. The Tribunal upheld the deletion of this addition based on the assessee's compliance and the lack of incriminating material found during the assessment.

In conclusion, the Tribunal dismissed the Revenue's appeal and allowed the assessee's cross objection, emphasizing the importance of factual accuracy and compliance with legal provisions in determining additions and deletions in the assessment process.

 

 

 

 

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