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2018 (4) TMI 307 - AT - Income Tax


Issues involved:
1. Addition of unexplained income based on seized documents.
2. Treatment of unexplained entries in the imprest account.
3. Application of Section 40A(3) to disallow certain entries.
4. Set off of surrendered amount against taxable income.
5. Addition of unexplained income on estimate basis.
6. Verification of surrendered amount and adjustments.

Detailed Analysis:
1. The judgment involves cross-appeals by the assessee and the revenue challenging the Commissioner of Income-tax (Appeals) order regarding additions made to the income of the assessee based on seized documents following a search operation under the Income-tax Act, 1961.

2. The assessee contended that the entries in the imprest account of certain individuals were not reconciled, but the surrendered amount should cover these discrepancies. The Commissioner upheld the addition, stating that the surrendered amount was already adjusted against other confirmed entries, leaving no balance for these additions.

3. The application of Section 40A(3) was disputed, with the assessee arguing that the provisions did not apply as none of the entries were claimed as allowable expenditure. The Tribunal directed the Assessing Officer to verify the applicability of Section 40A(3) and adjust the peak amount from the surrendered amount, allowing the assessee's appeal for statistical purposes.

4. The issue of set off of the surrendered amount against taxable income was debated. The Tribunal agreed with the Commissioner's observation that the surrendered amount should be adjusted against the taxable amount arising from certain entries. However, it directed the Assessing Officer to verify the claimed expenditures before deciding on the applicability of Section 40A(3).

5. The Tribunal upheld the Commissioner's decision regarding the addition of unexplained income on estimate basis, stating that the revenue must substantiate such additions with incriminating material.

6. Lastly, the Tribunal emphasized the importance of verifying the surrendered amount and making necessary adjustments based on the findings, allowing the assessee's appeal for statistical purposes and dismissing the revenue's appeal.

 

 

 

 

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