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2020 (4) TMI 465 - AT - Income Tax


Issues:
1. Challenge to addition of un-substantiated closing credit balance of trade creditors.
2. Challenge to disallowance made under section 14A r/w rule 8D.

Analysis:
1. Issue 1 - Addition of Un-substantiated Closing Credit Balance of Trade Creditors:
The assessee challenged the addition of ?31,91,853 on account of un-substantiated closing credit balance of trade creditors. The Assessing Officer disallowed a round figure of ?90 lakh on an ad-hoc basis, suspecting non-genuine purchases against outstanding sundry creditors. The first appellate authority restricted the disallowance to ?39,91,853, as the Assessing Officer doubted only this specific amount. The assessee submitted additional evidence before the Commissioner (Appeals) to prove the genuineness of transactions with the concerned party. However, the Commissioner (Appeals) rejected these evidences without proper verification, leading to the Tribunal directing the issue to be sent back to the Assessing Officer for fresh adjudication after providing a reasonable opportunity of being heard to the assessee.

2. Issue 2 - Disallowance Made under Section 14A r/w Rule 8D:
The Assessing Officer noticed that the assessee earned exempt income through dividends but did not disallow any expenditure attributable to this income. Consequently, the Assessing Officer computed a disallowance under rule 8D at ?78,546, comprising interest expenditure and administrative expenses. The Commissioner (Appeals) upheld this disallowance. The Tribunal, after considering the available surplus funds with the assessee, deleted the disallowance of interest expenditure but confirmed the disallowance of administrative expenditure. The disallowance under section 14A r/w rule 8D was restricted to ?9,032. The Tribunal partially allowed this ground of appeal.

In conclusion, the Tribunal partially allowed the appeal, directing a fresh adjudication on the addition of un-substantiated closing credit balance of trade creditors and modifying the disallowance made under section 14A r/w rule 8D.

 

 

 

 

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