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2021 (11) TMI 44 - AT - Income Tax


Issues Involved:
1. Disallowance of Salary to Specified Persons
2. Disallowance of Payment of Rent to Specified Persons
3. Treatment of Long-Term Capital Gain
4. Disallowance of Bad Debt
5. Addition of Unexplained Capital

Detailed Analysis:

1. Disallowance of Salary to Specified Persons:
During the assessment, the Assessing Officer (AO) asked the assessee to justify the salary paid to specified persons under Section 40A(2)(b) of the Income Tax Act. The AO did not accept the assessee's justification and restricted the salary amounts based on disallowances made in the previous year, resulting in an addition of ?2,69,749 to the total income. The ITAT referenced a previous decision in the assessee's own case, noting that the AO had not made any comparison with the fair market value of the services. The AO's disallowance was based on conjecture without tangible material. Consequently, ITAT allowed the appeal, directing the AO to delete the addition.

2. Disallowance of Payment of Rent to Specified Persons:
The AO noticed that the assessee had paid rent to related persons specified under Section 40A(2)(b) and disallowed part of the rent payments based on previous year’s findings. The ITAT found that the AO did not provide any basis for accepting part of the rent as genuine and part as excessive. The AO failed to compare the rent paid with the prevailing market rates. Citing a precedent, ITAT directed the AO to delete the addition, allowing the appeal.

3. Treatment of Long-Term Capital Gain:
The AO treated the long-term capital gain claimed by the assessee as business income, stating that the sold shares were not shown as investments in the balance sheet. The ITAT noted that the AO did not verify the details submitted by the assessee, which included evidence that the shares were bonus shares not reflected in the balance sheet. The issue was restored to the AO for de novo verification, allowing the appeal for statistical purposes.

4. Disallowance of Bad Debt:
The AO disallowed the claim of bad debt, arguing that the assessee had not offered the corresponding income in its books. The assessee contended that it was a trading loss recovered by the principal from the assessee as per their agreement. The ITAT found that the issue needed examination of the details provided by the assessee and restored it to the AO for de novo verification, allowing the appeal for statistical purposes.

5. Addition of Unexplained Capital:
The AO added ?1,40,000 to the assessee's total income as unexplained capital, as the assessee failed to substantiate the claim that it was out of withdrawals made in the past three years. The ITAT upheld the AO’s decision, noting that the assessee did not provide relevant supporting evidence. The appeal on this ground was dismissed.

Conclusion:
The ITAT allowed the appeals regarding the disallowance of salary and rent payments to specified persons, directing the AO to delete the additions. The issues of long-term capital gain and bad debt were restored to the AO for fresh verification. The addition of unexplained capital was upheld, dismissing the appeal on this ground. The overall judgment resulted in ITA 1758/Ahd/2018 being allowed and ITA 1759/Ahd/2018 being partly allowed for statistical purposes.

 

 

 

 

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