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Issues:
1. Addition of Rs. 23,000 as income arising under other sources. Analysis: The judgment by the Appellate Tribunal ITAT Amritsar involved an appeal by the assessee against the order of the AAC, Amritsar for the assessment year 1971-72. The primary issue raised in the appeal was regarding the addition of Rs. 23,000 as income arising under other sources. The assessee had started a business during the relevant accounting year and introduced various sums of cash into the business. The explanation provided by the assessee for the source of these funds was scrutinized by the ITO, who added Rs. 26,000 as income from undisclosed sources. The AAC, upon appeal, reduced this addition to Rs. 23,000 based on the assessee's explanation. The assessee contended that the entire investment in the business came from his savings accumulated over the years. The counsel for the assessee argued that the withdrawals made by the assessee from his previous firm, along with savings on dissolution of the firm, accounted for the investment in the new business. The Deptl. Rep. rebutted the assessee's contentions by highlighting that the withdrawals made by the assessee were immediately spent and not saved, as evidenced by the withdrawals from the bank account. The Deptl. Rep. also pointed out the lack of additional deposits in the newly opened bank account in Amritsar, indicating a need for immediate funds rather than saving. However, upon considering both sides, the Tribunal did not agree with the Revenue's contentions. The Tribunal found merit in the assessee's explanation that the withdrawals were made cautiously due to past experiences and a desire to keep funds secure. The Tribunal noted that there was no concrete evidence to dispute the assessee's claim of savings and cautious spending. The Tribunal, therefore, reduced the addition of Rs. 23,000 to Rs. 2,000, granting the assessee a relief of Rs. 21,000. The AAC's finding was vacated, and the ITO was directed to modify the assessment accordingly. In conclusion, the appeal filed by the assessee was partly allowed by the Tribunal, emphasizing the importance of credible explanations and evidence in determining the source of funds and income additions in such cases.
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