Stamp duty valuation tolerance and unclaimed deduction bar: Tribunal deletes addition but upholds section 80C disallowance.
Where the difference between sale consideration and stamp duty value is within the permissible tolerance range, no addition is justified under section 56(2)(vii)(b), and the Tribunal deleted the addition for the assessee. A deduction under section 80C cannot be allowed if it was not claimed in the return of income, because section 80A(5) statutorily bars such allowance; the disallowance was therefore upheld.
Issues: (i) Whether the addition made under section 56(2)(vii)(b) of the Income-tax Act, 1961 on account of difference between sale consideration and stamp duty value was sustainable where the difference was within 10%; (ii) Whether deduction under section 80C of the Income-tax Act, 1961 could be allowed when it was not claimed in the return of income in view of section 80A(5) of the Income-tax Act, 1961.
Issue (i): Whether the addition made under section 56(2)(vii)(b) of the Income-tax Act, 1961 on account of difference between sale consideration and stamp duty value was sustainable where the difference was within 10%.
Analysis: The property was purchased for Rs. 1,26,00,000/- and the stamp duty value was Rs. 1,31,55,556/-, resulting in a difference of less than 5%. The Tribunal followed its earlier view that where the difference between consideration and stamp duty valuation is within the permissible tolerance range, no addition is warranted under section 56(2)(vii)(b).
Conclusion: The addition of Rs. 5,55,556/- was not sustainable and was directed to be deleted in favour of the assessee.
Issue (ii): Whether deduction under section 80C of the Income-tax Act, 1961 could be allowed when it was not claimed in the return of income in view of section 80A(5) of the Income-tax Act, 1961.
Analysis: The assessee had not claimed the deduction in the return filed for the relevant assessment year. Section 80A(5) operates as a statutory bar against allowing a deduction not claimed in the return of income, and the Tribunal relied on the binding legal position that such a claim cannot be granted contrary to the express mandate of the provision.
Conclusion: The claim for deduction under section 80C was rejected and the disallowance was upheld against the assessee.
Final Conclusion: The appeal succeeded only on the addition relating to stamp duty valuation and failed on the deduction claim, resulting in partial relief to the assessee.
Ratio Decidendi: Where the difference between consideration and stamp duty valuation falls within the permissible tolerance range, no addition is justified under section 56(2)(vii)(b); and a deduction not claimed in the return of income cannot be granted where section 80A(5) bars such allowance.