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Section 263 Invoked Because Education Cess Claim Was Not Examined in Limited Scrutiny

January 5, 2026 279 Views 0 comment Print

The Tribunal upheld revision since business expenses were within limited scrutiny and education cess deduction was not verified. The key takeaway is that lack of enquiry on a covered issue makes the assessment erroneous and prejudicial to revenue.

₹1 Crore Commission Addition Rejected for Mere Suspicion

January 5, 2026 645 Views 0 comment Print

The assessing officer estimated commission income by assuming investments were accommodation entries. The tribunal confirmed that additions based on assumptions, without concrete evidence, are legally unsustainable.

Carry-Forward of Losses Allowed Because IBC Resolution Doesn’t Extinguish Tax Rights

January 5, 2026 897 Views 0 comment Print

The key issue was whether approval of an IBC resolution plan automatically wipes out the right to carry forward business losses. The Tribunal held that such rights survive and must be examined under the Income-tax Act, not dismissed as infructuous.

Assessment Quashed for Ignoring Binding DRP Directions

January 5, 2026 495 Views 0 comment Print

The core issue was whether an assessment can survive when DRP directions are disregarded. The Tribunal held that failure to follow binding DRP instructions renders the assessment void ab initio.

Loan Addition Deleted Because Amount Was Repaid in Same Year

January 5, 2026 570 Views 0 comment Print

The issue was whether a loan can be treated as unexplained despite full repayment within the year. The Tribunal held that once receipt and repayment are proved through banking channels, section 68 cannot apply.

Estimated Income Reduced Because Declared Profit Was Ignored

January 5, 2026 222 Views 0 comment Print

The issue was whether declared business income can be overlooked while estimating profits after rejecting books. The Tribunal held that ignoring returned income leads to double taxation and directed its set-off.

Share Capital Addition u/s 68 Fails in Pre-2013 Years: Kolkata ITAT Deletes ₹4.28 Cr

January 5, 2026 288 Views 0 comment Print

The issue was whether the company could be asked to explain the source of shareholders funds for a pre-2013 year. The Tribunal held that the proviso to section 68 is prospective, making the addition unsustainable.

Reassessment Quashed Because Notices Were Issued to a Dead Person

January 5, 2026 414 Views 0 comment Print

The issue was whether reassessment can continue when all notices are issued in the name of a deceased assessee. The Tribunal held such proceedings void ab initio, as jurisdiction ceases upon death.

Addition Restored for Violating Rule 46A Procedure

January 5, 2026 252 Views 0 comment Print

The issue was whether the appellate authority could delete a large unexplained investment without following Rule 46A. The Tribunal held that bypassing mandatory procedure invalidates the relief, and the matter must be re-examined.

Cash Addition Quashed for Wrong Section: 153C, Not 153A, Applicable

January 5, 2026 258 Views 0 comment Print

The issue was whether cash found at a third party’s premises could be added in the assessee’s 153A assessment. The Tribunal held such additions invalid, ruling that proceedings must be initiated under section 153C.

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