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2024 (8) TMI 679 - AT - Benami Property


Issues Involved:
1. Legitimacy of property acquisitions under the Prohibition of Benami Property Transactions Act, 1988.
2. Applicability of the amended Act of 2016 to transactions prior to 25.10.2016.
3. Determination of beneficial ownership and benami transactions.
4. Confirmation of provisional attachment orders.

Detailed Analysis:

1. Legitimacy of Property Acquisitions:
The case involves the acquisition of various immovable properties by a government employee in the names of his family members. The properties were allegedly acquired using unaccounted income far exceeding the known legitimate earnings of the family members.

- Facts: Properties worth Rs. 4,58,04,376/- were acquired in the names of the employee's wife and two sons, who were minors or non-earning at the time of acquisition. The employee's known income from his service was Rs. 63,95,140/-.
- Findings: The Adjudicating Authority found that the properties were acquired using unaccounted income, but refused to confirm the attachment for properties acquired before 25.10.2016, citing the Supreme Court's judgment in Ganpati Dealcom Pvt. Ltd.

2. Applicability of the Amended Act of 2016:
The amendment to the Prohibition of Benami Property Transactions Act, 1988, effective from 01.11.2016, was a significant point of contention.

- Supreme Court Judgment: The Apex Court in Union of India vs. M/s Ganpati Dealcom Pvt. Ltd. held that the amended provisions do not apply retrospectively to transactions before 25.10.2016.
- Adjudicating Authority's Decision: Based on this judgment, the authority refused to confirm the attachment of properties acquired before 25.10.2016.

3. Determination of Beneficial Ownership and Benami Transactions:
The core issue was whether the properties were benami transactions under Section 2(9)(A) of the Act.

- Definition: A benami transaction involves property held by one person for which consideration is paid by another, and the property is held for the benefit of the person providing the consideration.
- Evidence: The employee's sons and wife were found to have insufficient legitimate income to acquire the properties. The properties were acquired for the benefit of the employee, who provided the consideration from unaccounted income.
- Adjudicating Authority's Contradiction: The authority acknowledged the unaccounted income but shifted the burden of proof to the Initiating Officer (IO) to show that the beneficial owner provided the consideration, which was already established by the evidence.

4. Confirmation of Provisional Attachment Orders:
The Tribunal reviewed the attachment orders for various properties and bank accounts.

- Properties Acquired Before 25.10.2016: The Tribunal upheld the Adjudicating Authority's decision to not confirm the attachment for these properties, making it subject to the final outcome of the review petition pending before the Supreme Court.
- Properties Acquired After 25.10.2016: The Tribunal found the Adjudicating Authority's refusal to confirm the attachment for these properties to be perverse and contradictory. It confirmed the attachment for properties acquired after 25.10.2016, as the evidence showed they were benami transactions.

Conclusion:
The Tribunal allowed the appeal, confirming the attachment of properties acquired after 25.10.2016 and making the attachment of properties acquired before 25.10.2016 subject to the outcome of the Supreme Court's review petition. The decision highlights the importance of scrutinizing the source of funds in property transactions to prevent the misuse of unaccounted income.

 

 

 

 

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