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2012 (9) TMI 437 - AT - Income Tax


Issues Involved:
1. Deletion of additions on account of unaccounted investment in factory building for AY 1993-94 and AY 1994-95.
2. Deletion of addition on account of unexplained investment in purchase of land for AY 1993-94.
3. Addition on account of unaccounted cash u/s 69A for AY 1993-94.
4. Addition on account of household valuables for AY 1993-94.
5. Disallowance of interest expenditure for AY 1993-94.
6. Addition on account of household expenses for AY 1993-94.

Detailed Analysis:

1. Deletion of Additions on Account of Unaccounted Investment in Factory Building
The Revenue appealed against the deletion of additions of Rs.12,26,132/- and Rs.11,55,287/- for AY 1993-94 and AY 1994-95, respectively, made on account of unaccounted investment in factory building u/s 69 of the IT Act. The case involved a search in the group cases of Ramdev Masala, and the DVO estimated the cost of construction of the property at Rs.81,31,106/-. The AO made the additions based on the DVO's report, which the assessee challenged by presenting valuation reports from Government Registered Valuers. The CIT(A) deleted the additions, concluding that the AO did not properly consider the valuation reports from the Government Approved Valuers and did not find any incriminating documents during the search. The Tribunal upheld the CIT(A)'s decision, emphasizing that the AO had not rejected the books of account and had relied solely on the DVO's report without further investigation.

2. Deletion of Addition on Account of Unexplained Investment in Purchase of Land
The AO added Rs.7,01,600/- to the assessee's income, citing an unaccounted payment for land purchase based on statements from the seller and broker. The CIT(A) deleted the addition, noting that the statements were contradictory and unsupported by material evidence. The Tribunal upheld the CIT(A)'s decision, referencing a similar case from AY 1990-91 where the ITAT had deleted an addition based on statements without material support.

3. Addition on Account of Unaccounted Cash u/s 69A
The AO added Rs.90,000/- to the assessee's income, citing unexplained cash found during a search. The CIT(A) confirmed the addition, noting that the assessee's cash flow statement was unsupported by evidence, and the assessee did not maintain personal books of account. The Tribunal upheld the CIT(A)'s decision, agreeing that the assessee had not provided sufficient evidence to explain the cash found.

4. Addition on Account of Household Valuables
The AO added Rs.30,000/- to the assessee's income for household valuables found during the search, which the assessee failed to explain. The CIT(A) confirmed the addition, noting the lack of evidence supporting the assessee's claims about the ownership and purchase of the valuables. The Tribunal upheld the CIT(A)'s decision, emphasizing the assessee's failure to provide evidence.

5. Disallowance of Interest Expenditure
The AO disallowed Rs.42,000/- in interest expenditure, citing interest-free advances given by the assessee. The CIT(A) confirmed the disallowance, noting the lack of evidence showing the interest expenditure was utilized for earning income. The Tribunal, however, deleted the disallowance, noting that the AO had not established a nexus between the interest-free advances and the interest-bearing loans.

6. Addition on Account of Household Expenses
The AO added Rs.18,000/- to the assessee's income for household expenses, noting that the assessee had not withdrawn any amount for such purposes. The CIT(A) confirmed the addition, citing the lack of evidence for household withdrawals. The Tribunal upheld the CIT(A)'s decision, agreeing that the assessee had not provided evidence of household expenses or alternative arrangements.

Conclusion:
- The Revenue's appeals in ITA Nos. 1464 & 1465/Ahd/2006 were dismissed.
- The assessee's appeal in ITA No. 1536/Ahd/2006 was partly allowed.

 

 

 

 

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