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2024 (7) TMI 280 - AT - Income Tax


Issues Involved:
1. Disallowance under Section 14A read with Rule 8D.
2. Addition on account of loss on sale of shares.
3. Disallowance of speculation loss claimed under the head "income from other sources."

Issue-wise Detailed Analysis:

On Ground No. 1: Disallowance under Section 14A read with Rule 8D

The issue pertains to the disallowance of Rs. 35,76,934/- made by the AO under Section 14A read with Rule 8D, which was restricted by the Ld.CIT(A) to Rs. 23,970/-. The facts reveal that the assessee earned a dividend income of Rs. 23,970/- as exempt income and claimed no direct expenses for earning this income. The AO applied Rule 8D to calculate the disallowance, while the assessee contended that investments were made from interest-free funds and no administrative expenses were incurred specifically for earning exempt income. The Ld.CIT(A) restricted the disallowance to the actual exempt income earned, citing consistent findings in previous years and judicial precedents, including the judgment of the Hon'ble Gujarat High Court in PCIT v. Gujarat Flurochemicals Ltd. The Tribunal upheld the Ld.CIT(A)'s decision, emphasizing that the AO must record reasons for not being satisfied with the assessee's claim before making a disallowance under Rule 8D. The Tribunal also noted that the AO had mechanically applied Rule 8D without the requisite satisfaction, hence violating procedural requirements under Section 14A(2) of the Act. Consequently, the Revenue's appeal on this ground was dismissed.

On Ground No. 2: Addition on account of loss on sale of shares

This ground pertains to the addition of Rs. 1,71,03,200/- made by the AO on account of loss on sale of shares of Indian Infotech and Software Ltd. and Shree Shalin Textile Ltd., treating the transactions as non-genuine. The AO based his conclusion on information from the Investigation Wing, Kolkata, and other authorities, without independent verification. The Ld.CIT(A) deleted the disallowance, noting that the AO failed to rebut the substantial evidence provided by the assessee, including contract notes, Demat statements, and bank statements. The Ld.CIT(A) also observed that the investigation reports did not specifically name the assessee or their broker, and the AO did not provide the assessee with the information for cross-verification. The Tribunal upheld the Ld.CIT(A)'s decision, emphasizing that the AO's disallowance was based on presumptions and lacked substantial evidence. The Tribunal also referred to the decision of the Co-ordinate Bench in a similar case, which allowed the assessee's claim based on direct evidence of sale/purchase transactions. Consequently, this ground of the Revenue's appeal was dismissed.

On Ground No. 3: Disallowance of speculation loss claimed under the head "income from other sources"

This ground relates to the disallowance of Rs. 13,45,857/- made by the AO on account of speculation loss claimed under the head "income from other sources." The assessee claimed this amount as proportionate depreciation relating to speculation business, which was added back in the normal business profit and loss calculation. The AO, not satisfied with the explanation, added this amount to the total income. The Ld.CIT(A) deleted the addition after verifying the details, noting that the amount represented depreciation related to the speculation business and was appropriately accounted for. The Tribunal upheld the Ld.CIT(A)'s decision, noting that the AO's observations lacked factual basis. Consequently, this ground raised by the Revenue was dismissed.

Conclusion:

The appeal filed by the Revenue was dismissed in its entirety. The Tribunal upheld the Ld.CIT(A)'s decisions on all grounds, emphasizing the need for substantial evidence and proper procedural adherence by the AO. The Tribunal also highlighted the importance of independent verification and cross-verification in assessment proceedings.

 

 

 

 

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