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2014 (6) TMI 702 - AT - Income Tax


Issues:
1. Addition of interest on KVP/NSC
2. Addition on share trading through stock broker
3. Addition on unexplained bank deposits
4. Unexplained investment in jewellery found during search

Issue 1: Addition of interest on KVP/NSC
The appeal pertains to the deletion of an addition of Rs.18,120 out of the total addition of interest earned on KVP/NSC. The CIT (A) found the total investment in KVP/NSC to be Rs.5,65,000 with interest accrued at Rs.45,200. The ITAT upheld the relief granted by the CIT (A) as the total investment and interest were not disputed by the revenue, leading to the dismissal of the appeal on this ground.

Issue 2: Addition on share trading through stock broker
The issue involved the deletion of an addition of Rs.2,64,580 on share trading through a stockbroker. The CIT (A) based the relief on a statement of account showing sales and purchases of shares. The ITAT found that the CIT (A) admitted additional evidence without affording the Assessing Officer an opportunity to review it, violating Rule 46A. Consequently, the issue was remanded back to the CIT (A) for proper consideration.

Issue 3: Addition on unexplained bank deposits
The appeal challenged the deletion of an addition of Rs.5,35,967 on account of unexplained bank deposits. The ITAT analyzed various entries and bank statements to determine the legitimacy of the deposits. It was found that most entries were adequately explained by the bank statements or narrations, leading to the dismissal of the revenue's appeal on this ground.

Issue 4: Unexplained investment in jewellery found during search
The issue concerned the deletion of an addition of Rs.6,46,878 towards unexplained investment in jewellery discovered during a search operation. The ITAT noted that the jewellery was included in the undisclosed income of another individual, which was accepted by the Income-tax Department. As the jewellery was accounted for and taxed in the hands of the other individual, the ITAT upheld the CIT (A)'s decision to delete the addition, dismissing the revenue's appeal on this issue.

In conclusion, the ITAT partially allowed the appeal for statistical purposes, addressing each issue raised by the revenue in detail and providing reasoned judgments for each.

 

 

 

 

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