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Issues involved:
The appeal against the order passed by the CIT(A) regarding the addition of Rs. 10,000 during the block period from 1st April, 1996 to 18th Sept., 2002. Confirmation of Addition of Rs. 10,000: The case involved a search conducted under s. 132 in the case of the assessee's father, where Rs. 10,000 was treated as undisclosed income of the assessee. The AO made the addition on the grounds of lack of proof of genuineness of the entry in the books, capacity of the creditor, and her identification. The CIT(A) upheld the AO's decision. However, the Tribunal found that the entry of receiving a loan of Rs. 10,000 did not constitute undisclosed income as per the definition under s. 158B(b). The Tribunal ordered the deletion of this addition, stating that the assessee had received a loan, which did not fall within the definition of 'undisclosed income' under the relevant section. The Tribunal's decision was pronounced in an open court immediately after the conclusion of the hearing on 20th Sept., 2007. As a result, the appeal was allowed.
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