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2019 (11) TMI 799 - AT - Income Tax


Issues Involved:
1. Addition under Section 41(1) for cessation of liability.
2. Disallowance of depreciation on new chilling plants.
3. Disallowance of interest on loans for new chilling plants.
4. Addition under Section 68 for unexplained cash.

Issue-wise Analysis:

1. Addition under Section 41(1) for Cessation of Liability:
The assessee, engaged in the milk dairy business, was subjected to a survey under Section 133A, revealing inflated purchases and corresponding sundry creditors. The AO added ?32,70,589, ?1,04,62,889, and ?9,61,80,915 under Section 41(1)(a), citing cessation of liability. The CIT(A) allowed a further one-week credit, reducing the addition by ?2.63 crores. The tribunal noted that the assessee voluntarily declared ?2.06 crores during the survey and offered ?2 crores in its return. The tribunal emphasized that the onus is on the assessee to prove the genuineness of the sundry creditors and remanded the issue to the AO for fresh assessment, directing the AO to verify the creditors' details and provide the assessee an opportunity to explain the discrepancies.

2. Disallowance of Depreciation on New Chilling Plants:
The AO disallowed depreciation of ?91,97,894 on two new chilling plants, stating they were not operational. The CIT(A) allowed depreciation for the Navalpatty plant but not for the Karur plant due to lack of evidence. The assessee submitted additional evidence before the tribunal, which admitted the evidence and remanded the issue to the AO for verification and fresh assessment.

3. Disallowance of Interest on Loans for New Chilling Plants:
The AO disallowed ?60,82,257 interest on loans for the chilling plants, citing non-commencement of operations. The CIT(A) allowed interest for the Navalpatty plant but not for the Karur plant. The tribunal, linking this issue to the operational status of the Karur plant, remanded it to the AO for fresh assessment, directing verification of the plant's operational status.

4. Addition under Section 68 for Unexplained Cash:
During the survey, physical cash of ?26,35,769 was found, but the assessee's books showed ?56,33,311. The AO added the difference of ?29,97,542 under Section 68. The CIT(A) deleted this addition without proper reconciliation. The tribunal remanded the issue to the AO, directing the assessee to provide a reconciliation statement and the AO to verify the same in fresh assessment proceedings.

Conclusion:
The tribunal allowed both the assessee's and the Revenue's appeals for statistical purposes, remanding the issues to the AO for fresh assessment, directing proper verification, and providing the assessee an opportunity to present evidence and explanations.

 

 

 

 

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