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2016 (6) TMI 282 - AT - Income Tax


Issues Involved:
1. Validity of Section 153C proceedings.
2. Correctness of unexplained investment addition under Section 69.
3. Legality of Section 143(3) proceedings.
4. Nature of income (business income vs. short-term capital gain).
5. Unexplained payment addition under Section 69.
6. Calculation of taxable gains.

Detailed Analysis:

1. Validity of Section 153C Proceedings:

The primary legal issue was the validity of Section 153C proceedings initiated against the assessees. The assessees argued that the Assessing Officer (AO) did not record the necessary satisfaction in the case of the searched party before initiating Section 153C proceedings. The tribunal emphasized that the AO must first form an opinion in the case file of the searched party that the seized material belongs to a third person, followed by a similar exercise in the latter’s case file. The tribunal found that the AO did not record such satisfaction in the searched party’s case, thus violating the mandatory condition for initiating Section 153C proceedings. Consequently, the tribunal quashed the assessments for the assessment years 2007-08 and 2008-09 for all three assessees.

2. Correctness of Unexplained Investment Addition Under Section 69:

For the first assessee, the AO made an addition of ?56,61,200/- as unexplained investment under Section 69, which was affirmed by the CIT(A). The tribunal quashed the assessment based on the invalidity of Section 153C proceedings, rendering this issue infructuous.

3. Legality of Section 143(3) Proceedings:

The tribunal examined whether the AO could proceed under Section 143(3) for the assessment year 2010-11. The assessee argued that the assessment year 2010-11 fell within the six preceding years from the date of receiving the records (14-07-2011) and should be assessed under Section 153C. The tribunal concluded that the conditions under Section 153C(2) were not satisfied, as the AO had issued a notice under Section 143(2) within the limitation period. Therefore, the AO rightly proceeded under regular assessment provisions, and the assessment under Section 143(3) was upheld.

4. Nature of Income (Business Income vs. Short-Term Capital Gain):

The CIT(A) treated the gains from the sale of land as business income instead of short-term capital gains, considering the transactions as an adventure in the nature of trade. The tribunal upheld this view, noting that the assessee had engaged in multiple transactions involving the purchase and sale of land within a short period, indicating a business motive.

5. Unexplained Payment Addition Under Section 69:

The AO made an addition of ?2,00,000/- under Section 69 for unexplained payments towards the purchase of rights from two co-vendors. The tribunal found no material to rebut the findings of the lower authorities and upheld this addition.

6. Calculation of Taxable Gains:

The assessee contested the calculation of taxable gains, arguing that the entire cash component should be equally divided among all partners. The tribunal noted that the assessee had already declared ?36 lakhs in the return, exceeding his share of ?30 lakhs. The tribunal found that the assessee had acquired 60% interest in the land and was the only person receiving payments. Therefore, the tribunal upheld the CIT(A)’s calculation of taxable gains, confirming the addition of ?1,50,91,800/- as business income.

Conclusion:
- Appeals for assessment years 2007-08 and 2008-09 were allowed, quashing the assessments based on invalid Section 153C proceedings.
- Appeal for the assessment year 2010-11 was dismissed, upholding the assessment under Section 143(3) and confirming the additions made by the AO and CIT(A).

 

 

 

 

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