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1986 (12) TMI 65 - AT - Income Tax

Issues:
1. Assessment of old credits in the accounts of two individuals for the assessment year under appeal.
2. Treatment of various expenses made by the assessee and their link to a settlement petition.

Analysis:

Issue 1: Assessment of old credits in the accounts of two individuals
The appeal was against the CIT(A)'s order concerning the assessment year 1983-84. The ITO had found credits in the accounts of two individuals totaling Rs. 6,34,524. The assessee claimed these were old credits carried forward from previous years and should not be taxed for the current assessment year. However, the ITO assessed these amounts as the assessee's income from undisclosed sources under section 68 of the IT Act due to the failure to produce books of account. The CIT(A) set aside the ITO's order, directing to follow the Settlement Commission's order and assess accordingly. The assessee contended that the credits were old and supported this with detailed documentation from previous years. The ITAT held that the ITO's assessment was arbitrary as the evidence of old balances being carried forward was ignored. Consequently, both additions made by the ITO were deleted, and the CIT(A)'s order was reversed.

Issue 2: Treatment of various expenses and their link to a settlement petition
Apart from the credits issue, the ITO had made several other additions, including welfare expenses, car expenses, traveling expenses, telephone expenses, and expenses on electricity and wages. These additions were contested in appeal, with the assessee arguing that they were unrelated to the settlement petition. The CIT(A) did not provide findings on these additions but directed them to be considered in light of the Settlement Commission's order. The ITAT decided to reverse the CIT(A)'s order on these additions and sent them back for the CIT(A) to decide on merit. Both parties agreed to this course of action. As a result, the appeal was allowed for statistical purposes.

This judgment highlights the importance of considering evidence provided by the assessee, especially regarding old balances carried forward from previous years, and emphasizes the need for assessments to be based on substantial evidence rather than arbitrary assumptions.

 

 

 

 

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