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2025 (7) TMI 1096 - AT - Income TaxAddition u/s 56(2)(vii)(b) - AO adopting the stamp duty value as on the date of registration - HELD THAT - In the present case the assessee has made part payment before the date of the agreement through account payee cheque. This issue has been considered in the case of Shyamkumar Madhavdas Chugh 2024 (1) TMI 424 - ITAT DELHI wherein it was held that if the agreement fixing the consideration is prior to the date of registration and part payment has been made through banking channels before the agreement date then the stamp duty value as on the agreement date must be taken for the purpose of section 56(2)(vii)(b). We are of the considered opinion that the AO was not justified in adopting the stamp duty value as on the date of registration. We accordingly restore the matter to the file of the AO with a direction to verify the stamp duty value as on 20.10.2011 and compute the addition if any u/s 56(2)(vii)(b) of the Act in accordance with law. In view of the above the appeal filed by the assessee is allowed for statistical purposes only. ISSUES:
RULINGS / HOLDINGS:
RATIONALE:
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