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2014 (11) TMI 140 - AT - Income Tax


Issues Involved:
1. Deletion of addition under Section 14A of the Income Tax Act.
2. Deduction under Section 80IA and 80HHC of the Income Tax Act.
3. Unexplained investment and inflated purchases.
4. Sale of oil tins out of books.
5. Disallowance of foreign travel expenditure.
6. Netting of interest for deduction under Section 80HHC.
7. Unaccounted income from sale of shares.

Detailed Analysis:

1. Deletion of Addition under Section 14A:
The CIT(A) deleted the disallowance of Rs. 17,06,797/- made by the AO under Section 14A of the Act. The AO had made the addition based on the difference in the quantity of washed cotton purchases as per the stock movement register and the books of account, treating it as inflated purchases. However, the CIT(A) found that the AO had not doubted the genuineness of any purchases recorded in the books of account, and the payments were made through banking channels. The AO made the addition purely on assumption without corroborative evidence. The Tribunal upheld the CIT(A)'s order, noting that the Revenue did not controvert the CIT(A)'s findings.

2. Deduction under Section 80IA and 80HHC:
The CIT(A) allowed the income from insurance commission and power generation for calculating deduction under Section 80IA, which the AO had disallowed. The Tribunal found that the issue was covered by the decision of the Coordinate Bench in the assessee's own case for earlier years, which relied on the judgment of the Hon'ble Gujarat High Court. Thus, the Tribunal upheld the CIT(A)'s order.

3. Unexplained Investment and Inflated Purchases:
For AY 2003-04, the AO made an addition of Rs. 19,01,012/- on account of unexplained investment and inflated purchases. The CIT(A) deleted these additions, finding that the AO had made the additions based on assumptions without any corroborative evidence. The Tribunal upheld the CIT(A)'s order, noting that the Revenue did not provide any material to controvert the CIT(A)'s findings.

4. Sale of Oil Tins Out of Books:
For AY 2004-05, the AO made an addition of Rs. 10,37,291/- based on the difference in sales of oil tins. The CIT(A) deleted the addition, noting that the AO had not established that the empty tins were used for unaccounted sales and that the difference was negligible. The Tribunal upheld the CIT(A)'s order, agreeing with the practical aspects considered by the CIT(A).

5. Disallowance of Foreign Travel Expenditure:
For AY 2004-05, the AO disallowed Rs. 2,00,000/- of foreign travel expenditure due to lack of documentary evidence. The CIT(A) confirmed the disallowance, and the Tribunal upheld the CIT(A)'s order, noting that the assessee did not provide any supporting evidence.

6. Netting of Interest for Deduction under Section 80HHC:
The issue of netting of interest for computing deduction under Section 80HHC was remitted back to the AO for verification and adjudication. The Tribunal followed its decision in the assessee's own case for AY 2003-04, remitting the issue back to the AO.

7. Unaccounted Income from Sale of Shares:
For AY 2005-06, the AO made an addition of Rs. 2,42,857/- based on seized documents showing purchase and sale of shares. The CIT(A) deleted the addition, noting that the seized papers did not bear the name of the appellant company and were found in a premises shared by multiple companies. The Tribunal upheld the CIT(A)'s order, as the Revenue did not provide any material to controvert the CIT(A)'s findings.

Conclusion:
- Revenue's appeals for AYs 2003-04, 2004-05, and 2005-06 were dismissed.
- Assessee's cross objections for AYs 2003-04 and 2004-05 were partly allowed for statistical purposes.
- Assessee's cross objection for AY 2005-06 was dismissed.

 

 

 

 

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