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2022 (5) TMI 359 - AT - Income Tax


Issues Involved:
1. Deletion of Short Term Capital Gain amounting to Rs. 2,90,89,450/-.
2. Deletion of interest expenditure amounting to Rs. 6,75,523/-.

Issue-wise Detailed Analysis:

1. Deletion of Short Term Capital Gain:

The primary issue revolves around whether the assessee should be charged with Short Term Capital Gain (STCG) on the sale of immovable property valued at Rs. 9.75 crores. The assessee argued that no capital gain should be recognized because no sale consideration was received, and possession of the property was not transferred. The property was declared in the assessee's returns for subsequent assessment years, and the investment was reflected in the balance sheet.

The Assessing Officer (AO) found discrepancies in the sale deed and noted that payments were allegedly made through cheques and cash, as acknowledged by the assessee in front of the Registrar. However, the AO observed that the payment schedule was not mentioned in the original sale deed obtained from the sub-Registrar, raising doubts about the transaction's authenticity.

The Commissioner of Income Tax (Appeals) [CIT(A)] deleted the addition, stating that there was no evidence of receipt of the sale price or handing over possession of the property. The CIT(A) concluded that the provisions of Section 45(1) and Section 2(47)(v) of the Income Tax Act, 1961, were not applicable since the ownership had not been transferred.

Upon appeal, the Tribunal noted conflicting evidence and arguments from both parties. The Tribunal emphasized the need for further investigation to confirm whether the assessee received any payment and whether the property was indeed transferred. The Tribunal remanded the matter back to the CIT(A) for further investigation and a detailed factual report to resolve the issue comprehensively.

2. Deletion of Interest Expenditure:

The issue here pertains to the deletion of interest expenditure amounting to Rs. 6,75,523/-. The assessee initially declared an income of Rs. 19,27,700/- and later revised it to Rs. 38,09,925/- due to the withdrawal of interest paid on a bank loan, which was claimed under "property income" but was for business purposes.

The Tribunal's order did not provide a detailed analysis of this specific issue, suggesting that the primary focus was on the STCG matter. As the appeal was allowed for statistical purposes and remanded for further investigation, it can be inferred that the interest expenditure issue may also require additional scrutiny during the reassessment by the CIT(A).

Conclusion:

The Tribunal remanded the case back to the CIT(A) for further investigation and a detailed factual report regarding the receipt of sale consideration and the transfer of property. The appeal was allowed for statistical purposes, emphasizing the necessity for a thorough and holistic examination of the facts to resolve the issues of Short Term Capital Gain and interest expenditure comprehensively.

 

 

 

 

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