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2022 (4) TMI 634 - AT - Income Tax


Issues Involved:
1. Validity of reassessment proceedings under Section 148 of the Income Tax Act.
2. Addition of cash deposits as unexplained income under Section 69.
3. Treatment of tuition income as income from undisclosed sources under Section 69A.
4. Taxation of additions under Section 115BBE.

Issue-wise Detailed Analysis:

1. Validity of Reassessment Proceedings under Section 148:
- In ITA No. 1144/Chd/2019 for AY 2011-12, the assessee did not press the ground challenging the reassessment proceedings on legal grounds.
- In ITA No. 1145/Chd/2019 for AY 2013-14, the assessee argued that the reopening was based on information from the Investigation Wing without independent application of mind by the Assessing Officer (AO). The Tribunal did not delve into this issue as relief was granted on merits.

2. Addition of Cash Deposits as Unexplained Income under Section 69:
- For AY 2011-12, the AO added ?10,40,000 as unexplained income after giving credit for ?3,00,000 cash withdrawal. The assessee contended that the deposits were from the opening cash balance of ?12,61,473 from the previous year, which was reflected in the balance sheet and accepted by the Department.
- For AY 2013-14, the AO added ?10,40,000 as unexplained income. The assessee argued that the deposits were from the opening cash balance of ?12,58,949 as per the balance sheet for the previous year, accepted by the Department.
- The Tribunal noted that the balance sheets were filed and accepted in previous assessments, and the AO did not provide reasons for disbelieving the opening cash balance. Thus, the Tribunal accepted the assessee's explanation for both years.

3. Treatment of Tuition Income as Income from Undisclosed Sources under Section 69A:
- For both AY 2011-12 and AY 2013-14, the AO treated the tuition income as income from undisclosed sources. The assessee argued that the tuition income had been regularly accepted in previous and subsequent years.
- The Tribunal observed that the Department had accepted the tuition income in earlier and subsequent assessments, and there was no material change in facts. Following the principle of consistency, the Tribunal held that the tuition income should be accepted as declared by the assessee.

4. Taxation of Additions under Section 115BBE:
- The assessee contended that the additions confirmed by the CIT(A) were wrongly taxed under Section 115BBE.
- As the Tribunal decided in favor of the assessee on the merits of the additions under Sections 69 and 69A, the issue of taxation under Section 115BBE became moot.

Conclusion:
- For AY 2011-12 (ITA No. 1144/Chd/2019), the Tribunal allowed the appeal on grounds 2, 3, and 4, holding that the additions were unjustified. Ground 1 was dismissed as not pressed.
- For AY 2013-14 (ITA No. 1145/Chd/2019), the Tribunal allowed the appeal on merits, without addressing the legal ground of reassessment validity.

Final Result:
- Both appeals of the assessee were partly allowed.

 

 

 

 

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