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2024 (3) TMI 513 - AT - Income Tax


Issues involved:
The issues involved in the judgment are:
1. Addition of unexplained sum credited to the books of account.
2. Disallowance under section 14A of the IT Act.
3. Disallowance of expenses without direct nexus between income earned and expenses incurred.
4. Disallowance of long term capital loss.

Issue 1: Addition of unexplained sum credited to the books of account:
The revenue challenged the deletion of the addition of Rs. 10,00,00,000 made by the AO, arguing that the genuineness of the transaction and immediate sources of funds were not proven with cogent evidence. The CIT(A) found that the funds were transferred from a non-resident's NRE account, and after considering all documents, including passport and bank statements, the addition was deleted. The ITAT upheld the CIT(A)'s decision, stating that the assessee had successfully proven the genuineness and creditworthiness of the transaction.

Issue 2: Disallowance under section 14A of the IT Act:
The AO made an addition under section 14A r.w.r. 8D, which was challenged before the CIT(A) by the assessee. The CIT(A) restricted the disallowance after considering the investments from which dividend income was earned. The ITAT, following the decisions of the Hon'ble High Court, upheld the CIT(A)'s decision, stating that only investments yielding exempt income should be considered for computing the disallowance under section 14A.

Issue 3: Disallowance of expenses without direct nexus between income earned and expenses incurred:
The AO disallowed expenses of Rs. 1,75,83,247, claiming that a portion of it was not attributable to income earned. The CIT(A, considering the consistency in previous years and the thorough documentation of expenses, deleted the disallowance. The ITAT upheld the CIT(A)'s decision, emphasizing that the expenses were for normal business purposes and were supported by proper documentation.

Issue 4: Disallowance of long term capital loss:
The AO disallowed long term capital loss of Rs. 2,90,32,823, citing lack of details of buyers of shares sold. The CIT(A) allowed the loss after verifying the details provided by the assessee. The ITAT upheld the CIT(A)'s decision, noting that the sale was genuine, supported by complete details, and the price per share was reasonable. Therefore, the long term capital loss was considered genuine and allowed.

In conclusion, the ITAT dismissed the revenue's appeal, upholding the decisions of the CIT(A) on all issues involved in the case.

 

 

 

 

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