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2019 (9) TMI 656 - AT - Income Tax


Issues:
Cross appeals by Revenue and assessee against CIT(A) order for block assessment period under section 158BC(c) of the Income-tax Act, 1961.

Analysis:

Issue 1: Disallowance u/s 40A(3) of the Act
- Revenue raised grounds challenging acceptance of cash flow statement by CIT(A).
- Departmental Representative withdrew Revenue's appeal, dismissed as withdrawn.
- Assessee challenged disallowance made u/s 40A(3) for AY 1996-97 and 1997-98.
- Tribunal held disallowance u/s 40A(3) not applicable in block assessment, deleted the disallowance amounts.

Issue 2: Unexplained investment in land
- Assessee contested unexplained investment of ?55,52,500 for land purchase at Katraj.
- Tribunal noted cash payments made for land purchase, disputed by Assessing Officer.
- Assessee argued funds provided by another individual, not liable for addition.
- Tribunal found no merit in addition, reversed lower authorities' decisions, held no addition warranted.

Issue 3: Interest charge u/s 158 BFA(1)
- Dispute over interest levied for late filing of block period return.
- Assessee claimed delay due to non-provision of documents by Assessing Officer.
- Tribunal referred to previous case, directed AO to re-compute interest leviable.

Issue 4: Surcharge levy
- Challenge against surcharge levy for period before 01.06.2002.
- Tribunal followed precedent, held no surcharge applicable in such cases.

Additional Grounds:
- Assessee raised additional grounds regarding undisclosed income, not pressed, dismissed.
- Revenue appeal withdrawn by Department, dismissed as withdrawn.

Conclusion:
- Assessee's appeal allowed, Revenue's appeal dismissed as withdrawn.
- Disallowances under 40A(3) deleted, unexplained investment not upheld, interest re-computation directed, no surcharge levied.

 

 

 

 

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