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Rebuttable search presumptions and corroboration standards shaped deletion of unsubstantiated additions, while rental income and limited profit estima...
In completed assessments under section 153A, additions can be...
Search assessment and multiplex lease receipts: incriminating material limits additions, but commercial exploitation supported business income treatment.
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In completed assessments under section 153A, additions can be made only on the basis of incriminating material having a live nexus with undisclosed income; the seized loose sheet and sub-lease agreement did not meet that test for the unabated years, so the additions for A.Ys. 2013-14 to 2016-17 were deleted. For A.Y. 2017-18, the year was abated, and for A.Y. 2018-19, assessed as the search year, the absence of incriminating material did not bar a fresh assessment, so that jurisdictional objection failed. On merits, receipts from the multiplex lease were treated as business income because the asset was commercially exploited under a structured arrangement, and the receipts had consistently been disclosed on that basis.
In completed assessments under section 153A, additions can be made only on the basis of incriminating material having a live nexus with undisclosed income; the seized loose sheet and sub-lease agreement did not meet that test for the unabated years, so the additions for A.Ys. 2013-14 to 2016-17 were deleted. For A.Y. 2017-18, the year was abated, and for A.Y. 2018-19, assessed as the search year, the absence of incriminating material did not bar a fresh assessment, so that jurisdictional objection failed. On merits, receipts from the multiplex lease were treated as business income because the asset was commercially exploited under a structured arrangement, and the receipts had consistently been disclosed on that basis.
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