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    <title>Real income theory and corroborated cash explanations: ITAT upheld deletion of one addition and sustained the balance.</title>
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    <description>ITAT applied the real income theory to hold that alleged bonus or commission receivable could not be taxed on a due basis where there was no proof of receipt, no employer provisioning, and no document showing a legal right to receive the amount; the deletion of that addition was upheld. On the unexplained money issue, the Tribunal accepted third-party confirmations, agreements, revenue records and section 133(6) responses admitting cash handed over for proposed land transactions, and directed deletion of Rs. 85,00,000. For the remaining cash addition, it held that bare assertions of cash savings and business receipts were insufficient without corroboration, so the relief already granted by the first appellate authority was sustained and no further interference was warranted.</description>
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    <pubDate>Tue, 26 May 2026 08:24:42 +0530</pubDate>
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      <title>Real income theory and corroborated cash explanations: ITAT upheld deletion of one addition and sustained the balance.</title>
      <link>https://www.taxtmi.com/highlights?id=100119</link>
      <description>ITAT applied the real income theory to hold that alleged bonus or commission receivable could not be taxed on a due basis where there was no proof of receipt, no employer provisioning, and no document showing a legal right to receive the amount; the deletion of that addition was upheld. On the unexplained money issue, the Tribunal accepted third-party confirmations, agreements, revenue records and section 133(6) responses admitting cash handed over for proposed land transactions, and directed deletion of Rs. 85,00,000. For the remaining cash addition, it held that bare assertions of cash savings and business receipts were insufficient without corroboration, so the relief already granted by the first appellate authority was sustained and no further interference was warranted.</description>
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      <pubDate>Tue, 26 May 2026 08:24:42 +0530</pubDate>
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