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2024 (7) TMI 963 - AT - Income Tax


Issues:
1. Incorrect order passed by the CIT(A) without deciding the pending issues.
2. Discrepancy in deciding the issue of disallowance of Commission Expenses and Late Fee under different appeals.
3. Failure to address a Separate Appeal of Levy of Late Fee.
4. Disallowance of Commission Expenses without considering explanations.

Analysis:
1. The appellant challenged the order passed by the CIT(A) under section 250 of the Income Tax Act, claiming that the order did not address the pending issues and decided a different matter. The appellant argued that the order was erroneous and should be canceled. The Tribunal acknowledged the delay in filing the appeal, which was condoned, and proceeded to hear the case.

2. The Tribunal noted that the CIT(A) had erroneously addressed the issue of Late Fee under section 234E of the Act in a different appeal, instead of focusing on the disallowance of Commission Expenses as raised by the appellant. As a result, the Tribunal set aside the CIT(A)'s order and directed a reevaluation of the disallowance issue, providing the appellant with a fair hearing opportunity.

3. Furthermore, the Tribunal highlighted that a Separate Appeal of Levy of Late Fee was not considered by the CIT(A) in the quantum appeal proceedings, leading to a failure in addressing all relevant issues. The Tribunal emphasized the importance of addressing all appeals comprehensively and ensuring that each issue is appropriately dealt with to avoid discrepancies.

4. Lastly, the Tribunal addressed the disallowance of Commission Expenses by the Assessing Officer, noting that the explanations provided by the appellant regarding the genuineness of the expenditure were not adequately considered. The Tribunal emphasized the need for a thorough examination of all relevant details and explanations before making any disallowances, highlighting the importance of due diligence in such matters.

In conclusion, the Tribunal allowed the appeal in ITA No.386/LKW/2023 for statistical purposes, directing a reevaluation of the disallowance issue, while dismissing the appeal in ITA No.387/LKW/2023 due to becoming infructuous after setting aside the previous order.

 

 

 

 

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