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2025 (1) TMI 497 - AT - Income Tax
Revision u/s 263 - holding the original assessment order as erroneous and prejudicial to the interest of the Revenue regarding the deduction allowed u/s 54B - HELD THAT - Language of Section 54B is very categorical in which it has been expressly stated that for claiming deduction u/s 54B of the Act, the capital asset should be used for agricultural purposes for two years immediately preceding the date of transfer of such agricultural land. We observe that PCIT has clearly brought on record certain anomalies with respect to this aspect and the AO has in our view omitted to enquire into this crucial aspect. Another aspect on which there was failure on part of the AO to make due inquiries was that a sum had been paid by the assessee towards obtaining relinquishment rights from third parties, and the AO had not made due inquiries whether this amount was eligible for claim of deduction u/s 54B of the Act. We observe that PCIT had also obtained report from the concerned Government Authority / agency to substantiate that no agricultural activities were being carried out between the years 2014 to 2018 in respect of both the properties which was sold by the assessee and also the property which was subsequently purchased by the assessee with respect to which deduction u/s 54B was claimed. In the case of Ramanbhai Bholidas Patel 2022 (12) TMI 1012 - ITAT AHMEDABAD ITAT has held that Section 54B would not be applicable in case land was not used for agricultural purposes in two years preceding date of transfer. Where Assessing officer had not made necessary inquiry before allowing deduction under Section 54B but grossly allowed claim made by assessee, revisional order passed by Principal Commissioner under section 263 setting aside assessment order, should not call for any interference. Appeal of the assessee is dismissed.
1. ISSUES PRESENTED and CONSIDERED
The core legal questions considered in this judgment are:
- Whether the order passed under Section 263 by the Principal Commissioner of Income Tax (PCIT) was justified in holding the original assessment order as erroneous and prejudicial to the interest of the Revenue regarding the deduction allowed under Section 54B.
- Whether the land in question qualified as agricultural land for the purposes of claiming deduction under Section 54B of the Income Tax Act.
- Whether the payment made to "confirming parties" for relinquishment of rights in the purchased land qualifies for deduction under Section 54B.
2. ISSUE-WISE DETAILED ANALYSIS
Issue 1: Justification of the Section 263 Order
- Relevant legal framework and precedents: Section 263 of the Income Tax Act allows the PCIT to revise an order if it is deemed erroneous and prejudicial to the interests of the Revenue.
- Court's interpretation and reasoning: The court examined whether the Assessing Officer (AO) conducted necessary inquiries into the deduction claimed under Section 54B. The court found that the AO did not adequately investigate the agricultural use of the land or the payment to confirming parties.
- Key evidence and findings: The PCIT's findings were based on reports from the Bhaskaracharya National Institute for Space Applications & Geo-Informatics, indicating no agricultural activity on the land from 2014 to 2018.
- Application of law to facts: The court agreed with the PCIT that the AO failed to make necessary inquiries, thus justifying the revision under Section 263.
- Treatment of competing arguments: The appellant argued that the AO had conducted sufficient inquiries, but the court found these arguments unconvincing due to the lack of evidence of agricultural use.
- Conclusions: The court upheld the PCIT's order under Section 263, finding no infirmity in the revision process.
Issue 2: Qualification of Land as Agricultural Land
- Relevant legal framework and precedents: Section 54B allows for a deduction if the land was used for agricultural purposes for two years preceding its sale.
- Court's interpretation and reasoning: The court emphasized the necessity of proving agricultural use for the stipulated period, which the appellant failed to demonstrate.
- Key evidence and findings: The appellant's evidence, including 7/12 abstracts and income computations, did not convincingly establish agricultural use in the required timeframe.
- Application of law to facts: The absence of proof of agricultural activity led the court to conclude that the land did not qualify for the Section 54B deduction.
- Treatment of competing arguments: The appellant cited case law suggesting that conversion to non-agricultural land does not negate prior agricultural use, but the court found these precedents inapplicable.
- Conclusions: The court determined that the land did not meet the criteria for agricultural use under Section 54B.
Issue 3: Payment to Confirming Parties
- Relevant legal framework and precedents: Section 54B requires the purchase of new agricultural land for the deduction to apply.
- Court's interpretation and reasoning: The court interpreted "purchase" narrowly, excluding payments for relinquishment of rights from qualifying for the deduction.
- Key evidence and findings: The payment of Rs. 57,66,666/- to confirming parties was not considered a direct purchase of agricultural land.
- Application of law to facts: The court found that this payment did not meet the statutory requirements for a Section 54B deduction.
- Treatment of competing arguments: The appellant argued that payments directed by the original landowner should qualify, but the court disagreed based on the statutory language.
- Conclusions: The court concluded that the payment to confirming parties was ineligible for the Section 54B deduction.
3. SIGNIFICANT HOLDINGS
- Preserve verbatim quotes of crucial legal reasoning: "The language of Section 54B of the Act is very categorical in which it has been expressly stated that for claiming deduction under Section 54B of the Act, the capital asset should be used for agricultural purposes for two years immediately preceding the date of transfer of such agricultural land."
- Core principles established: The necessity for thorough inquiry by the AO into claims of deductions under Section 54B, and the strict interpretation of "purchase" in the context of tax deductions.
- Final determinations on each issue: The court upheld the PCIT's order under Section 263, found the land did not qualify as agricultural for Section 54B purposes, and ruled that the payment to confirming parties was not deductible.