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Issues:
1. Whether the Income-tax Appellate Tribunal was legally correct in holding that the addition cannot be made to the declared income simply because no deduction had been claimed for the cost of land in the profit and loss account for the year under consideration? Analysis: The case involved an assessee claiming to have purchased land for a specific amount but had not paid the price. The Income-tax Officer concluded that the documents provided were not genuine and that the liability claimed was not proven to be genuine. Consequently, the officer treated the amount as the assessee's income from other sources. The Commissioner of Income-tax (Appeals) reviewed the case and found that since the assessee had not claimed the liability, it could not be disallowed. As a result, the added amount to the income was deleted based on this reasoning. The Income-tax Officer appealed to the Income-tax Appellate Tribunal, arguing that the liability was not genuine and the source of funds was unexplained. The Tribunal acknowledged the grounds raised by the Income-tax Officer but proceeded to dismiss the appeal after considering that the assessee had not made any claim or provided evidence that the amount in question had been paid. The Tribunal did not elaborate on specific contentions but based its decision on the lack of evidence regarding the payment of the amount. The petitioner contended that the question raised was not considered by the Tribunal, citing a Supreme Court case. However, the court disagreed, noting that the grounds of appeal specifically raised the issue, which the Tribunal must have considered despite not discussing it explicitly. The court emphasized that the amount was added to the income as undisclosed income, not due to a claimed exemption being disallowed. Therefore, the court directed the Tribunal to refer the question raised by the petitioner to the court for further consideration.
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