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2018 (1) TMI 802 - AT - Income Tax


Issues:
1. Addition on account of profit on sale/redemption of investments.
2. Denial of exemption under section 10(38) of the Income Tax Act.
3. Disallowance of depreciation claimed by the assessee.
4. Levying interest under sections 234B and 234D of the Act.
5. Validity of the assessment order passed by the Assessing Officer.
6. Validity of the order passed by CIT(A) upholding the assessment order.

Analysis:

Issue 1: Addition on account of profit on sale/redemption of investments
The appeal was filed against the addition of ?600,01,47,000 on profit from the sale/redemption of investments. The Hon'ble High Court had previously ruled in favor of the assessee for a similar issue in a previous assessment year. The Court held that the income from the sale/redemption of investments was not taxable, as the assessee had consistently credited the profit to the general reserve. The change in accounting treatment was due to IRDA regulations and did not warrant disallowance by the revenue. The Tribunal, following the High Court's ruling, allowed the ground raised by the assessee.

Issue 2: Denial of exemption under section 10(38)
The denial of exemption under section 10(38) became inconsequential after the favorable decision on the first issue. Therefore, this ground raised by the assessee was dismissed.

Issue 3: Disallowance of depreciation claimed
The Assessing Officer had disallowed depreciation claimed by the assessee based on past decisions where relevant details were not provided. However, in the present case, the assessee had submitted all necessary information during the assessment proceedings. The Tribunal found that the AO did not verify the details provided and directed a proper verification, allowing the ground raised by the assessee for statistical purposes.

Issue 4: Levying interest under sections 234B and 234D
The Tribunal did not provide specific details on this issue in the summary provided.

Issue 5: Validity of the assessment order
The ground challenging the validity of the assessment order passed by the Assessing Officer was not discussed in detail in the summary provided.

Issue 6: Validity of the order passed by CIT(A)
The ground challenging the order passed by CIT(A) was not discussed in detail in the summary provided.

In conclusion, the appeal filed by the assessee was partly allowed, with favorable decisions on the addition of profit on sale/redemption of investments and the disallowance of depreciation claimed. The denial of exemption under section 10(38) was dismissed as it became inconsequential. The Tribunal directed proper verification of details for the depreciation claimed by the assessee. The specific details regarding the levying of interest and the validity of the assessment and CIT(A) orders were not elaborated upon in the summary.

 

 

 

 

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