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2017 (12) TMI 751 - AT - Income Tax


Issues:
1. Addition of brokerage income due to discrepancies.
2. Disallowance of director's remuneration.

Analysis:

Issue 1: Addition of Brokerage Income
The assessee challenged the addition of ?15,60,133 on account of discrepancies in brokerage income. The Assessing Officer noted differences between the brokerage income in the books and Form no.26AS. The assessee tried to reconcile the discrepancies but was unsuccessful. The first appellate authority upheld the addition. The assessee contended that the revised Form no.26AS from the Insurance Company showed a lower brokerage income than declared. The Tribunal acknowledged the revised form obtained post-appeal and restored the issue to the Assessing Officer for verification based on the new information.

Issue 2: Disallowance of Director's Remuneration
The assessee contested the disallowance of director's remuneration amounting to ?55 lakh. The Assessing Officer observed a significant increase in salary compared to the previous year, particularly due to a substantial raise in ex-gratia payment to a director. The Assessing Officer invoked section 40A(2) and disallowed ?50 lakh of the enhanced salary. The first appellate authority upheld this decision. The assessee argued that the director played a crucial role in the company's growth, leading to a lucrative sale to Aditya Birla Group. However, the Tribunal found the justification for the salary increase lacking in documentary evidence. The matter was remanded to the Assessing Officer for a fresh assessment with an opportunity for the assessee to provide substantial proof justifying the increased remuneration.

In conclusion, the Tribunal partially allowed the appeal for statistical purposes, directing the Assessing Officer to re-examine both the brokerage income addition and the director's remuneration disallowance after affording the assessee a fair opportunity to substantiate their claims.

 

 

 

 

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