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2018 (9) TMI 1540 - AT - Income Tax


Issues Involved:
1. Addition under Section 68 of the IT Act treating loans received as unexplained cash credit for AY 1994-95.
2. Addition under Section 68 of the IT Act treating loans received as unexplained cash credit for AY 1995-96.
3. Disallowance of interest expenses consequential to the addition of unexplained loans.

Issue-Wise Detailed Analysis:

1. Addition under Section 68 of the IT Act for AY 1994-95:

The assessee, a proprietor of multiple businesses, filed a return declaring an income of Rs. 1,18,400. The AO assessed the total income at Rs. 1,55,30,542 by adding unexplained loans/gifts of Rs. 1,48,10,000 and disallowing interest claims of Rs. 5,92,142. The CIT (A) allowed relief of Rs. 1,24,90,000, sustaining an addition of Rs. 23,20,000. The Tribunal set aside the issue for reassessment twice, leading to an addition of Rs. 1,30,35,000 by the AO in the final round.

The Tribunal noted that Rs. 14,25,000 was already taxed in the block assessment and deleted this amount. Regarding Rs. 1 crore from the Johari Group, Rs. 50 lakh was verified through an FIR lodged by the creditors, leading to the deletion of this amount. However, the remaining Rs. 50 lakh from M/s. Trimurti Enterprises and M/s. Johari Jewellers Pvt. Ltd. was not substantiated by independent evidence, and the addition was upheld.

2. Addition under Section 68 of the IT Act for AY 1995-96:

The AO added Rs. 63,37,766 as unexplained cash credit, which was reduced to Rs. 38,27,913 by the CIT (A). The Tribunal remanded the matter back, and the AO repeated the addition. The Tribunal found that Rs. 8,00,000 from M/s. Sheetal Suitings Pvt. Ltd. was already taxed in the block assessment and deleted this amount. The Tribunal directed the AO to verify the repayment details and adjust the cash credits accordingly, allowing part relief based on the peak cash credit method.

3. Disallowance of Interest Expenses:

The interest disallowance was consequential to the addition of unexplained cash credits. For AY 1994-95, the AO was directed to recompute the interest disallowance based on the sustained additions. For AY 1995-96, the CIT (A) had restricted the disallowance to Rs. 15,51,706, and the Tribunal confirmed that any disallowance beyond this amount was incorrect.

Conclusion:

The Tribunal provided partial relief to the assessee by deleting additions already taxed in the block assessment and verified through independent evidence. However, it upheld the additions where the assessee failed to substantiate the claims with credible evidence. The interest disallowance was directed to be recomputed based on the sustained additions.

 

 

 

 

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