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Addition after survey option as Unaccounted income: Burden to prove and evidence.


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Deciphering Legal Judgments: A Comprehensive Analysis of Case Law

Reported as:

2024 (1) TMI 695 - ITAT AHMEDABAD

  1. Assessment Year 2014-15: This case concerns the assessment year 2014-15. The main issue is to determine the correct taxable income for this assessment year.

  2. Percentage of Completion Method: The taxpayer uses the "percentage of completion method" under the mercantile accounting system to declare construction income at the end of each year. The method's application is crucial for determining income from construction activities.

  3. Survey Action and Impounded Documents: During a survey conducted under Section 133A of the Income Tax Act, certain documents were discovered and confiscated. These impounded documents play a vital role in assessing the taxpayer's income.

  4. Determination of Sale Prices: The Assessing Officer (AO) assessed the sale prices of flats and penthouses based on findings during the survey and the report of an Inspector. There was a discrepancy between the prices determined by the AO and those claimed by the taxpayer.

  5. Addition to Total Income: The AO added a substantial amount to the total income, alleging unaccounted profit from the construction business due to the difference in sale prices.

  6. Ld. CIT(A) Appeal: The taxpayer filed an appeal before the Commissioner of Income Tax (Appeals) challenging the additions made by the AO. The Commissioner considered the submissions and evidence presented by the taxpayer and deleted the additions after a detailed discussion.

  7. Grounds of Appeal by Revenue: The Revenue appealed against the order of the Commissioner before the ITAT, raising various grounds to challenge the deletion of additions.

The ITAT, after a thorough review of the case, upheld the order of the Commissioner and dismissed the Revenue's appeal. It noted that the additions made by the AO were not supported by sufficient evidence and were primarily based on assumptions and conjectures.

The implications and impact of this judgment are specific to the case under consideration for the assessment year 2014-15. It highlights the importance of proper documentation and evidence in income tax assessments and emphasizes the need for assessing authorities to follow due process when making additions to a taxpayer's income.

 


Full Text:

2024 (1) TMI 695 - ITAT AHMEDABAD

 



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