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2022 (7) TMI 1299 - AT - Income Tax


Issues:
1. Condonation of delay in filing the appeal before the Tribunal.
2. Addition of unexplained investment in land by the Assessing Officer.
3. Consideration of savings from salary income for investment in immovable property.
4. Dismissal of the appeal by the Ld. CIT(A) without considering merits.

Condonation of Delay:
The appeal filed by the assessee before the Tribunal was delayed by 31 days. The Ld. AR explained that the delay was due to the shifting of the office and change of address, which caused a delay in receiving the CIT(A)'s order. The Tribunal, after reviewing the affidavit and reasons provided, condoned the delay as there was a reasonable cause for the delay, allowing the appeal to be adjudicated on merits.

Unexplained Investment in Land:
The case involved a Director in a company who declared a total income and faced a search operation under section 132 of the Income Tax Act. The Assessing Officer (AO) made additions to the income of the assessee as unexplained money under section 69 of the Act. The Ld. CIT(A) dismissed the appeal as the assessee did not provide necessary details. However, the Tribunal found that the AO did not consider the savings made by the assessee from salary income in earlier years. It was held that the amount invested in immovable property was from the own savings of the assessee and not unexplained. The Tribunal quashed the orders of the Revenue Authorities and allowed the appeal.

Savings from Salary Income for Investment:
The assessee, a salaried employee, derived income from salary, and the investment in immovable property was explained to be from funds available from salary income and savings from earlier years. The Ld. AO did not credit the savings from previous years, leading to the dispute. The Tribunal accepted the argument that the investment was from own savings and not unexplained. It was noted that the AO failed to consider the accumulated cash balances from salary income earned in earlier years, leading to the decision in favor of the assessee.

Dismissal of Appeal Without Considering Merits:
The assessee raised various grounds of appeal challenging the orders of the Ld. CIT(A). The Ld. CIT(A) dismissed the appeal without considering the merits of the case. The Tribunal, after hearing both sides and reviewing the material, found in favor of the assessee, highlighting that the AO's assumption regarding the availability of accumulated cash balances from salary income earned in earlier years was not acceptable. Consequently, the Tribunal allowed the appeal of the assessee, overturning the decisions of the Revenue Authorities.

This detailed analysis of the judgment from the Appellate Tribunal ITAT VISAKHAPATNAM highlights the key issues, arguments presented, and the ultimate decision rendered in favor of the assessee.

 

 

 

 

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