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2014 (2) TMI 463 - AT - Income Tax


Issues:
1. Deduction claimed u/s. 10A without submitting Form 56F.
2. Addition made on account of depreciation.
3. Deletion of addition on account of unexplained sundry creditors.

Deduction claimed u/s. 10A:
The case involved a dispute regarding the deduction claimed u/s. 10A without submitting Form 56F. The Assessing Officer disallowed the deduction citing non-furnishing of the form. However, the Ld. Commissioner of Income Tax (A) noted that the assessee had provided all necessary details supporting the claim, except for Form 56F. The Ld. Commissioner referred to a relevant High Court decision and directed the Assessing Officer to allow the deduction, considering past assessments where the deduction was allowed. The ITAT upheld the Ld. Commissioner's decision, stating that the assessee had submitted all necessary details, and the non-furnishing of Form 56F was not sufficient to disallow the deduction.

Addition made on account of depreciation:
The Assessing Officer disallowed a depreciation claim of Rs. 16,62,525 based on incomplete documentation regarding building construction. The Ld. Commissioner of Income Tax (A) accepted the assessee's submission that the bills were submitted, and the building was renovated, not newly constructed. The Ld. Commissioner allowed the depreciation claim, noting that any disallowance would not affect the taxable income due to the deduction u/s. 10A. However, the ITAT remitted the issue back to the Assessing Officer for verification, emphasizing the need for proper examination and verification of the submitted bills to establish the veracity of the claim.

Deletion of addition on account of unexplained sundry creditors:
The Assessing Officer disallowed Rs. 6,68,351 on account of unexplained sundry creditors due to the lack of confirmation certificates. The Ld. Commissioner of Income Tax (A) disagreed with this disallowance, stating that since the expenses were accepted in the profit and loss account, adding them back as sundry creditors was unjustified. The ITAT, however, found that the veracity of the sundry creditors was not established as confirmation certificates were not provided. The issue was remitted back to the Assessing Officer for a fresh examination, emphasizing the importance of verifying the creditors' details properly.

In conclusion, the ITAT upheld the deduction claimed u/s. 10A, remitted the issue of depreciation back to the Assessing Officer for verification, and remitted the issue of unexplained sundry creditors for a fresh examination. The judgments were based on the need for proper documentation and verification to support the claims made by the assessee.

 

 

 

 

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