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2023 (1) TMI 1117 - AT - Income Tax


Issues:
Challenge to order passed under section 263 for assessment years 2012-13 and 2015-16.

Analysis:
1. Grounds for Challenge:
- Assessee disputed invoking section 263 by Principal Commissioner of Income Tax (PCIT) as AO's order was not erroneous or prejudicial to revenue.
- Claimed AO made informed decisions based on available information and jurisdictional pronouncements.
- Alleged PCIT lacked basis for assumption and did not appreciate specific facts regarding agricultural income.
- Contended PCIT erred in assuming jurisdiction under section 263 without proper grounds.

2. Common Grounds in Appeals:
- Both appeals raised similar issues challenging PCIT's jurisdiction under section 263.
- Assessee sought quashing of order passed under section 263 for being unlawful and unwarranted.

3. Factual Background:
- Assessee engaged in share trading and construction businesses.
- Initial assessment revealed unexplained cash deposits in savings account.
- Reassessment initiated under section 147 based on cash deposits.
- AO disallowed part of agricultural income and motor car depreciation.
- PCIT initiated revision proceedings under section 263 due to lack of verification on sources of cash deposit.

4. PCIT's Decision:
- PCIT set aside assessment order as erroneous and prejudicial to revenue.
- Directed AO to conduct thorough verification on sources of cash deposit and agricultural land usage.
- Assessee challenged PCIT's decision in appeals for both assessment years.

5. Court's Analysis:
- Court reviewed invoices and land records provided by assessee.
- Found discrepancies in invoices, raising doubts on authenticity.
- Noted lack of evidence supporting cash deposits as agricultural income.
- Emphasized AO's failure to conduct proper verification despite reopening assessment.
- Upheld PCIT's jurisdiction under section 263 due to lack of adequate inquiry by AO.

6. Decision and Outcome:
- Court dismissed grounds raised by assessee for both assessment years.
- Decision for 2012-13 applied mutatis mutandis to 2015-16.
- Upheld PCIT's revision order for both years, leading to dismissal of appeals.

This detailed analysis highlights the challenges raised by the assessee against the order passed under section 263 for the assessment years 2012-13 and 2015-16, the factual background leading to the revision proceedings, the court's scrutiny of the evidence provided, and the ultimate decision to uphold the PCIT's jurisdiction under section 263 based on the lack of proper verification by the AO.

 

 

 

 

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