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Home Case Index All Cases Income Tax Income Tax + AT Income Tax - 2023 (12) TMI AT This

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2023 (12) TMI 31 - AT - Income Tax


  1. 2008 (2) TMI 23 - SC
  2. 1989 (10) TMI 232 - SC
  3. 1986 (3) TMI 3 - SC
  4. 1977 (4) TMI 3 - SC
  5. 1975 (7) TMI 3 - SC
  6. 1964 (10) TMI 7 - SC
  7. 2015 (4) TMI 481 - SCH
  8. 2015 (9) TMI 54 - SCH
  9. 2008 (1) TMI 575 - SCH
  10. 2022 (7) TMI 1310 - HC
  11. 2022 (5) TMI 377 - HC
  12. 2021 (10) TMI 422 - HC
  13. 2021 (2) TMI 997 - HC
  14. 2021 (1) TMI 1008 - HC
  15. 2020 (5) TMI 239 - HC
  16. 2020 (2) TMI 269 - HC
  17. 2018 (12) TMI 994 - HC
  18. 2018 (10) TMI 191 - HC
  19. 2018 (8) TMI 867 - HC
  20. 2018 (6) TMI 1235 - HC
  21. 2018 (4) TMI 802 - HC
  22. 2017 (5) TMI 1107 - HC
  23. 2015 (10) TMI 2059 - HC
  24. 2015 (5) TMI 232 - HC
  25. 2015 (5) TMI 81 - HC
  26. 2014 (8) TMI 605 - HC
  27. 2014 (5) TMI 625 - HC
  28. 2012 (10) TMI 1019 - HC
  29. 2012 (4) TMI 243 - HC
  30. 2011 (11) TMI 35 - HC
  31. 2011 (1) TMI 194 - HC
  32. 2009 (5) TMI 290 - HC
  33. 2003 (9) TMI 62 - HC
  34. 1983 (11) TMI 48 - HC
  35. 1973 (6) TMI 13 - HC
  36. 1967 (1) TMI 80 - HC
  37. 1962 (8) TMI 69 - HC
  38. 1954 (11) TMI 43 - HC
  39. 2023 (1) TMI 1319 - AT
  40. 2022 (2) TMI 772 - AT
  41. 2021 (10) TMI 359 - AT
  42. 2021 (9) TMI 890 - AT
  43. 2021 (6) TMI 843 - AT
  44. 2021 (6) TMI 400 - AT
  45. 2021 (6) TMI 364 - AT
  46. 2021 (6) TMI 211 - AT
  47. 2021 (5) TMI 570 - AT
  48. 2021 (5) TMI 186 - AT
  49. 2020 (9) TMI 1012 - AT
  50. 2020 (6) TMI 666 - AT
  51. 2020 (6) TMI 612 - AT
  52. 2019 (7) TMI 858 - AT
  53. 2018 (6) TMI 1035 - AT
  54. 2018 (5) TMI 1640 - AT
  55. 2018 (5) TMI 803 - AT
  56. 2018 (4) TMI 793 - AT
  57. 2018 (1) TMI 1119 - AT
  58. 2017 (12) TMI 1667 - AT
  59. 2017 (11) TMI 669 - AT
  60. 2017 (9) TMI 1944 - AT
  61. 2017 (6) TMI 1389 - AT
  62. 2017 (8) TMI 24 - AT
  63. 2015 (4) TMI 1361 - AT
  64. 2014 (11) TMI 1278 - AT
  65. 2015 (10) TMI 2315 - AT
  66. 2014 (2) TMI 1153 - AT
  67. 2013 (11) TMI 1271 - AT
  68. 2012 (6) TMI 241 - AT
  69. 2012 (4) TMI 272 - AT
  70. 2009 (7) TMI 874 - AT
  71. 2008 (7) TMI 843 - AT
Issues Involved:
1. Deletion of addition on account of provision for construction expenses.
2. Deletion of addition on account of non-deduction of tax on deemed dividend under Section 2(22)(e) of the Income Tax Act.
3. Deletion of addition on account of speculative loss from commodity transactions.
4. Deletion of addition by adopting AS-7 (Percentage Completion Method) for revenue recognition.
5. Deletion of addition under Section 68 of the Income Tax Act for unexplained cash credits.

Issue-wise Summary:

1. Deletion of Addition on Account of Provision for Construction Expenses:
The Tribunal upheld the CIT(A)'s decision to delete the addition of Rs. 5,00,000/- made by the AO for provision under construction expenses. The provision was made in the subsequent year (FY 2014-15) and not in the year under consideration (FY 2013-14). The AO's disallowance was based on a misreading of the ledger accounts, and the Tribunal found no infirmity in the CIT(A)'s order.

2. Deletion of Addition on Account of Non-Deduction of Tax on Deemed Dividend Under Section 2(22)(e):
The Tribunal dismissed the Revenue's appeal against the CIT(A)'s deletion of the addition of Rs. 1,34,83,176/- for non-deduction of tax on deemed dividend. The Tribunal noted that the accounts of the directors were in the nature of current accounts, not loans or advances. Additionally, the provisions of Section 40(a)(ia) were not applicable for deemed dividends under Section 2(22)(e) for AY 2014-15, as they were applicable from AY 2015-16.

3. Deletion of Addition on Account of Speculative Loss from Commodity Transactions:
The Tribunal upheld the CIT(A)'s decision to treat the loss of Rs. 56,15,450/- from trading in currency derivatives as a business loss, not a speculative loss. The transactions were carried out through recognized stock exchanges, and the AO's suspicion of accommodation transactions was not supported by any concrete evidence. The Tribunal found that the CIT(A) had rightly considered the transactions as business transactions under Section 43(5)(e).

4. Deletion of Addition by Adopting AS-7 (Percentage Completion Method) for Revenue Recognition:
The Tribunal upheld the CIT(A)'s deletion of the addition of Rs. 60,39,610/- made by the AO by adopting AS-7 (Percentage Completion Method). The assessee consistently followed the Project Completion Method, which is recognized by the ICAI and was accepted by the Revenue in earlier years. The Tribunal found that both methods yield the same result over the project life and are revenue-neutral.

5. Deletion of Addition Under Section 68 for Unexplained Cash Credits:
The Tribunal upheld the CIT(A)'s deletion of the addition of Rs. 2,11,21,389/- under Section 68. The assessee provided sufficient evidence, including ITRs, bank statements, and confirmations, to substantiate the identity, creditworthiness, and genuineness of the transactions. The AO failed to disprove the assessee's claims or conduct further inquiries. The Tribunal found that the AO's addition was based on assumptions and lacked corroborative evidence.

Conclusion:
The Tribunal dismissed both appeals of the Revenue, upholding the CIT(A)'s decisions on all issues. The Tribunal found that the CIT(A) had correctly interpreted the facts and applied the law, and the AO's additions were not justified based on the evidence and legal standards.

 

 

 

 

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