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2019 (3) TMI 682 - AT - Income Tax


Issues Involved:
1. Condonation of delay in filing appeals.
2. Addition of ?1,05,00,000 as unexplained investment.
3. Disallowance under section 40(a)(ia) of the Income Tax Act.
4. Disallowance of claims under section 80IB for specific projects.
5. Addition of ?5,19,52,900 as unexplained investments.
6. Additions under section 69B for purported on-money payments.
7. Separate grounds raised by the revenue regarding deductions and disallowances.

Detailed Analysis:

1. Condonation of Delay:
The assessee filed appeals with a delay of 128 days due to the medical condition of its Authorized Representative (AR). The Tribunal found the reason genuine and condoned the delay, admitting the appeals for hearing and adjudication.

2. Addition of ?1,05,00,000 as Unexplained Investment:
The AO added ?1,05,00,000 as unexplained investment based on an agreement of sale found during a search operation. The assessee contended that only ?30,00,000 was paid, and the remaining amount was not paid due to legal issues with the property. The Tribunal found no corroborative evidence of the additional payments and deleted the addition, accepting the assessee’s contention.

3. Disallowance under Section 40(a)(ia):
The AO disallowed ?5,04,59,157 due to non-deduction and short deduction of TDS. The CIT(A) directed the AO to verify if the amounts were unpaid at the end of the year and delete the disallowance accordingly. The Tribunal noted the retrospective amendment to section 40(a)(ia) and directed the AO to delete the addition, calculating interest under section 201(1A) for the default period.

4. Disallowance of Claims under Section 80IB:
The AO disallowed claims under section 80IB for JP Arcadia and JP Metropolis projects due to non-fulfillment of conditions. The CIT(A) upheld the disallowance, noting the lack of completion certificates and details about the size of the flats. The Tribunal directed the AO to verify the stage of completion and size of flats, allowing pro-rata deduction if within norms.

5. Addition of ?5,19,52,900 as Unexplained Investments:
The AO added ?6,46,57,900 as unexplained investment based on seized documents and negative cash balances. The CIT(A) restricted the addition to ?5,19,52,900 after partially accepting the assessee’s explanation. The Tribunal directed the AO to verify the audited cash book and reliable sources of cash, allowing the ground for statistical purposes.

6. Additions under Section 69B:
The AO made additions for purported on-money payments to vendors based on agreements for sale showing higher consideration than registered sale deeds. The CIT(A) upheld the additions, noting the consistency between agreements and registered documents. The Tribunal directed the AO to verify the sale consideration adopted for vendors and consider the same for the assessee, allowing the ground for statistical purposes.

7. Separate Grounds Raised by the Revenue:
- Deduction under Section 80IB: The Tribunal dismissed the revenue’s grounds, following its conclusions in the assessee’s appeal.
- Disallowance under Section 40(a)(ia): The Tribunal dismissed the revenue’s grounds, following its conclusions in the assessee’s appeal.
- Addition under Section 69C: The Tribunal upheld the CIT(A)’s deletion of the addition, noting the same payments were already added in the hands of M/s Janapriya Engineers Syndicate.

Conclusion:
The appeals of the assessee were partly allowed, and the appeals of the revenue were dismissed. The Tribunal emphasized the need for actual evidence over presumptions and directed thorough verification of facts by the AO.

 

 

 

 

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