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2013 (11) TMI 420 - AT - Income Tax


Issues:
Challenge to CIT(A)'s order in rectification proceeding u/s. 154 r.w.s. 143(3) for AY 1998-99 - Inclusion of profit on sale of bought tea in composite income under Rule 8.

Analysis:
The Assessing Officer (AO) challenged the correctness of the CIT(A)'s consolidated order regarding the inclusion of profit on sale of bought tea in composite income under Rule 8. The AO added back Rs.29,42,802/- to the business income of the assessee, treating it as profit on sale of bought tea. The CIT(A) upheld the assessee's grievance, considering only 40% of the amount as nonagricultural income. The AO's claim that the amount represented trading income was unsupported by findings in the assessment order. The legal position under Rule 8 stipulates that only 40% of income from tea grown by the assessee can be considered nonagricultural income. The ITAT affirmed the CIT(A)'s decision, emphasizing that a mistake rectifiable under section 154 must be clear and unambiguous. Since the assessment lacked evidence to support the AO's stance on the nature of the income, the ITAT dismissed the appeal in ITA No.592/Kol/12.

The subsequent rectification order dated 27.10.2008 passed by the AO became infructuous once the original order dated 16.9.2003 was quashed. Therefore, the appeal in ITA No.524/Kol/2012 was also dismissed. The ITAT concluded that both appeals challenging the CIT(A)'s order in the rectification proceeding for AY 1998-99 were to be dismissed, upholding the CIT(A)'s decision regarding the treatment of profit on sale of bought tea in the composite income under Rule 8.

 

 

 

 

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