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2023 (1) TMI 709 - AT - Income Tax


Issues Involved:
1. Addition of unexplained cash credit under Section 68 of the Income Tax Act, 1961.
2. Treatment of surplus on the sale of agricultural land as business income.
3. Addition of unexplained credit of Rs. 3,00,00,000/- as unexplained cash credit under Section 68.

Issue-wise Detailed Analysis:

1. Addition of Unexplained Cash Credit under Section 68:
The first common issue pertains to the addition made by the Assessing Officer (AO) on account of unexplained cash credits under Section 68 of the Income Tax Act for amounts of Rs.7,56,74,000/- for the assessment year 2010-11 and Rs.1,98,00,000/- for the assessment year 2011-12. The assessee argued that these credits were loans received back from various persons (sundry debtors) and provided explanations and proof regarding the credits. However, the AO and the Commissioner of Income Tax (Appeals) [CIT(A)] rejected these explanations, citing the lack of identity and creditworthiness of the debtors. The AO's findings included the inability to prove the identity and creditworthiness of the debtors and the absence of proper documentary evidence.

The Tribunal noted that the assessee had maintained detailed books of accounts and provided complete details, including affidavits, confirmations, and landholding details of the debtors, which were verified by the Tahsildar. The Tribunal held that the assessee had discharged the initial onus of proving the sundry debtors and that the AO had not conducted further enquiry or investigation. Referring to various judicial precedents, the Tribunal concluded that the addition under Section 68 was not warranted and deleted the additions for both assessment years.

2. Treatment of Surplus on Sale of Agricultural Land as Business Income:
The second issue involves the treatment of surplus on the sale of agricultural land as business income for amounts of Rs.63,02,000/- and Rs.81,10,384/- for the assessment years 2010-11 and 2011-12, respectively. The AO had treated the lands sold by the assessee to certain trusts as business assets, contending that the assessee was engaged in the business of trading in land. The CIT(A) upheld this view.

The Tribunal examined the evidence provided by the assessee, including sale deeds, certificates from the Village Administrative Officer (VAO), and revenue records, which confirmed the agricultural nature of the lands. The Tribunal noted that the assessee had consistently declared agricultural income in previous years and that the lands were subject to agricultural revenue. Concluding that the lands were agricultural in nature and not business assets, the Tribunal held that the sale proceeds were exempt from capital gains tax and allowed the assessee's appeal on this issue.

3. Addition of Unexplained Credit of Rs. 3,00,00,000/-:
The third issue pertains to the addition of Rs.3,00,00,000/- as unexplained cash credit under Section 68 for the assessment year 2011-12. The assessee claimed that this amount was temporarily received from a creditor, Murugan Traders, and provided confirmation and bank transaction details. The AO made the addition, citing the inability to verify the creditor's identity and creditworthiness. The CIT(A) upheld the addition, stating that the assessee had not proved the creditworthiness of the payer.

The Tribunal noted that the transactions were through banking channels and that the assessee had provided confirmations and ledger extracts. Given the concession by both parties, the Tribunal remitted the issue back to the AO for further examination of the creditor's details and to decide accordingly.

Conclusion:
The Tribunal allowed the appeals for the assessment years 2010-11 and 2011-12 on the issues of unexplained cash credits and treatment of surplus on the sale of agricultural land. The issue of unexplained credit of Rs.3,00,00,000/- was remitted back to the AO for further examination. The appeals were partly allowed for statistical purposes.

 

 

 

 

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