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2024 (9) TMI 1561 - AT - Income Tax


Issues Involved:

1. Deletion of addition of Rs. 1,14,79,452/- u/s 68 on the issue of unsecured loan.
2. Deletion of addition of Rs. 36,43,562/- u/s 68.
3. Deletion of addition of Rs. 54,170/- on the issue of difference in valuation of stock.
4. Deletion of addition of Rs. 7,00,000/- on account of difference in consumption of raw materials.
5. Deletion of additions of Rs. 1,34,050/- and Rs. 13,53,785/- invoking the provisions of section 41.
6. Deletion of addition of Rs. 14,69,178/- on account of excess interest paid on unsecured loans.
7. Deletion of addition of Rs. 1,22,50,000/- on account of stock statement submitted to the bank for obtaining CC limit.
8. Any other ground adduced at the time of hearing.

Issue-wise Detailed Analysis:

1. Deletion of addition of Rs. 1,14,79,452/- u/s 68 on the issue of unsecured loan:

The department challenged the deletion of Rs. 1,14,79,452/- added by the AO as unexplained cash credits. The CIT(A) found that the loans were originally availed from Betala Investment Finance Ltd., which later changed its name to Lahoti Holdings Ltd. The transaction was supported by certificates from ROC, audited balance sheets, ITRs, and bank statements. The CIT(A) concluded that the transactions were genuine and through banking channels, thereby deleting the addition. The tribunal upheld this decision, agreeing that no new loans were availed during the year under consideration.

2. Deletion of addition of Rs. 36,43,562/- u/s 68:

Similar to the first issue, the AO added Rs. 36,43,562/- as unexplained cash credits. The CIT(A) found that the loan was originally availed from Prism Fincorp Pvt. Ltd., which later changed its name to Udit Infratech Pvt. Ltd. The transaction was supported by ledger accounts, bank statements, and audited financial statements. The tribunal upheld the CIT(A)'s decision, confirming that no new loans were availed during the year under consideration.

3. Deletion of addition of Rs. 54,170/- on the issue of difference in valuation of stock:

The AO added Rs. 54,170/- due to a difference in stock valuation. The CIT(A) found that the assessee valued finished goods at cost derived from the adjusted selling price method, which was Rs. 36,000 per MT, while the AO used the selling price of Rs. 38,000 per MT. The tribunal upheld the CIT(A)'s decision, agreeing that the stock valuation method adopted by the assessee was consistent and correct.

4. Deletion of addition of Rs. 7,00,000/- on account of difference in consumption of raw materials:

The AO added Rs. 7,00,000/- due to a discrepancy in the consumption of raw materials. The CIT(A) accepted the assessee's explanation that the discrepancy was due to a clerical error. The tribunal upheld the CIT(A)'s decision, confirming that the addition was based on a clerical mistake and was rightly vacated.

5. Deletion of additions of Rs. 1,34,050/- and Rs. 13,53,785/- invoking the provisions of section 41:

The AO added Rs. 1,34,050/- and Rs. 13,53,785/- as cessation of liability under section 41. The CIT(A) found that there was no remission or cessation of liability and that the liabilities were still outstanding in the books. The tribunal upheld the CIT(A)'s decision, agreeing that the conditions for invoking section 41(1) were not met.

6. Deletion of addition of Rs. 14,69,178/- on account of excess interest paid on unsecured loans:

The AO disallowed interest paid above 12% as unreasonable. The CIT(A) found that the loans were availed in earlier years and the interest rates were consistent with previous years' assessments. The tribunal upheld the CIT(A)'s decision, agreeing that the interest rates were mutually agreed upon and consistently applied.

7. Deletion of addition of Rs. 1,22,50,000/- on account of stock statement submitted to the bank for obtaining CC limit:

The AO added Rs. 1,22,50,000/- due to a difference in stock statements submitted to the bank and those in the books. The CIT(A) found that the difference was due to the inclusion of mould boxes as finished goods in the bank statement, which were shown as plant in the books. The tribunal upheld the CIT(A)'s decision, agreeing that inflated stock statements for obtaining higher credit limits cannot be the basis for addition under section 69B.

8. Any other ground adduced at the time of hearing:

No specific arguments were advanced for this ground, and it was rendered academic.

Conclusion:

The tribunal dismissed the department's appeal, upholding the CIT(A)'s decisions on all grounds. The additions made by the AO were found to be unjustified and were rightly deleted by the CIT(A). The judgment was pronounced in the open court on 05/09/2024.

 

 

 

 

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