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2019 (12) TMI 25 - AT - Income Tax


Issues Involved:
1. Addition on investment in properties.
2. Addition on account of investment in individual money lending and interest income from private financing.
3. Disallowance of agricultural income.

Issue-wise Detailed Analysis:

1. Addition on Investment in Properties:
The assessee, along with his brother, purchased a property at Madurai Main Road, Trichy, on 09.05.2001, with a total cost of Rs. 6,91,800/-. The assessee's 50% share amounting to Rs. 3,45,900/- was not reflected in his balance sheet. The Assessing Officer (AO) observed that the property was purchased during the assessment year 2002-03, and the entire sale consideration was paid on the date of registration. The AO brought this amount to tax as unexplained investment. The assessee claimed that Rs. 3,83,000/- was paid in an earlier year (1998-99), but failed to provide evidence. The CIT(A) confirmed the AO's addition due to lack of material evidence from the assessee, and the Tribunal upheld this decision, dismissing the assessee's ground.

2. Addition on Account of Investment in Individual Money Lending and Interest Income from Private Financing:
During a survey, a register detailing loans outstanding as of 01.01.2004 was found. The AO extrapolated this data to estimate the outstanding loan as of 01.04.2002 at Rs. 5,84,884/-, treating the difference of Rs. 2,84,884/- from the balance sheet figure as unexplained investment. Interest income from private financing was similarly estimated at Rs. 1,56,398/-. The assessee argued that the assessment was based on backward working theory without supporting materials. The Tribunal noted inconsistencies in the assessee's statements and lack of evidence for the claimed outstanding loans and interest income. The AO's estimation was based on the assessee's admission of destroying monthly records and the high interest rate of 40.5% from the money lending business. The Tribunal upheld the CIT(A)'s confirmation of the additions due to the absence of contrary evidence from the assessee.

3. Disallowance of Agricultural Income:
The assessee claimed an agricultural income of Rs. 1,10,000/- from 5.5 hectares of dry land. The AO, finding no supporting evidence except for a patta, estimated the income at Rs. 38,000/-, attributing Rs. 19,000/- to the assessee's share, and disallowed Rs. 91,000/-. The CIT(A) confirmed this disallowance. The Tribunal acknowledged the unorganized nature of the agricultural sector and the lack of detailed records but found the assessee's claim of Rs. 1,10,000/- to be excessive. It partially allowed the assessee's claim, granting relief of Rs. 55,000/- and confirming the balance disallowance of Rs. 55,000/-.

Conclusion:
The appeal filed by the assessee was partly allowed, with the Tribunal providing partial relief on the disallowance of agricultural income while upholding the additions on investment in properties and money lending activities. The judgment maintained the importance of providing substantial evidence to support claims and highlighted the Tribunal's reliance on logical estimations in the absence of complete records.

 

 

 

 

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