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2019 (3) TMI 72 - AT - Income TaxReopening of assessment - assessment reopened after expiry of four years - scrutiny assessment u/s 143(3) has been made - non-disclosure of facts fully and truly - Certain expenses disallowed in case of company being personal nature - perquisite value of this expenditure in hand of director - Interest free loan provided by company to Director not having substantial interest - notional interest will became perquisite value in hand of director - live-link between formation of opinion showing escapement of income vis- -vis information available with the AO. - disallowance of Advertisement expenses - HELD THAT - There cannot be any benefit of personal nature in advertisement expenditure. Similarly printing and stationery expenses were related to the company. Out of the above expenditure how it could be construed that element of personal nature is involved and its perquisite value in the hands of the Director. The AO has not analysed details of these expenditure while forming a belief that income has escaped assessment. Taking into consideration nature of expenditure we are of the view that there was no specific expenditure which can be termed as incurred exclusively for the personal needs of the Directors. If company wants to pay taxes that is its discretion but for that a completed assessment of the director after four years cannot be reopened. Availment of loans from two companies without paying interest - HELD THAT - Assessee was having share holding of 9% and 4.3% in the aforesaid two companies viz. Umnesh Complex PLtd. and Mihika Buildcon P.Ltd. He was not having substantial interest in these companies. It was brought to the notice of the ld.CIT(A) that assessee has not obtained any loan from Mihika Buildcon P.Ltd. during this year. It was opening balance. As contended that non-charging of interest on the debit balance in the running account of the directors would not constitute a perquisite. Judgment of Hon ble Supreme Court in the case of V.M. Salgaocar & Bros. Pvt. Ltd. Vs. CIT 2000 (4) TMI 2 - SUPREME COURT was pressed into service. Again though the AO has to form a prima facie belief only but has not analysed any of these details while forming a belief that income has escaped assessment more particularly when he is leveling allegations that it was escaped on account of non-disclosure of facts fully and truly. To our mind the AO has not demonstrated this aspect in the reasons recorded by him. Personal expenses disallowance in hand of company - perquisite value in hand of director - HELD THAT - CIT(A)has made a detailed analysis of all the expenditure and thereafter recorded a finding that there is no personal element involved in all these expenditure. They cannot be considered as perquisite in the hands of the director. After going through well reasoned order of the ld.CIT(A) we do not find any error on this issue. It is upheld. Non charging interest from the assessee on loan extended by companies - treated as perquisite in the hands of the assessee under section 2(24)(iv) - HELD THAT - As observed by the ld.CIT(A) that there is no fresh loan taken by the assessee from Umnesh Complex PLtd. and Mihika Buildcon P.Ltd. It is an opening balance. No interest was charged in earlier years nor any perquisite value was assessed. Similarly the CIT(A) has observed that if the directors have running account with the company then non-charging of interest on the debit balance would not constitute a perquisite. The ld.CIT(A)has made reference to large number of decisions while taking note of assessee s submissions at page nos.39 to 41 of the impugned order. After going through the finding of the ld.CIT(A) we do not find any error in the order of the ld.CIT(A)
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