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2011 (1) TMI 1362 - AT - Income Tax

Issues involved: Addition of Sundry Creditors u/s.41[1]

Summary:
1. The Assessing Officer (AO) noticed outstanding liabilities of the assessee with sundry creditors for more than three years, leading to the addition of the amount u/s.41[1].
2. The CIT(A) upheld the addition, emphasizing that the liabilities had remitted or ceased to exist, as the appellant had not demonstrated an intention to meet them.
3. The appellant argued that the inability to pay creditors due to business losses did not imply a lack of intention to pay, supported by payments made to some creditors and absence of write-offs.
4. The Tribunal found in favor of the appellant, noting that as long as the amounts were shown as outstanding and not written off, the liabilities could not be considered ceased, overturning the CIT(A)'s decision.
5. Citing legal precedents and factual findings, the Tribunal concluded that the liabilities had not ceased to exist, and hence, deleted the addition u/s.41[1].

Judges' Decision:
- Appellate Tribunal ITAT MUMBAI Citation: 2011 (1) TMI 1362 - ITAT MUMBAI
- Judges: SHRI D.K.AGARWAL, JUDICIAL MEMBER & SHRI T.R.SOOD, ACCOUNTANT MEMBER
- Appellant's Counsel: Shri Vimal Punmiya
- Respondent's Counsel: Shri Sanjeev Dutt
- Order Pronounced: 28th January 2011

This summary provides a detailed breakdown of the issues involved in the legal judgment regarding the addition of Sundry Creditors u/s.41[1] and the subsequent decisions made by the authorities involved.

 

 

 

 

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