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2017 (12) TMI 1171

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....e in the assessment year 2009-10 relying on an unregistered sale agreement whereas the actual sale deed was registered in the assessment year 2010-11 ? ii. Whether the Tribunal was right in upholding that the transfer of impugned property took place in assessment year 2009-10 without considering the provisions of Sections 53A read with 17(1A) of the Transfer of Property Act, 1882 as amended in 2001 ? iii. Whether the Tribunal is right in holding that the capital gain is assessable only in assessment year 2009-10 even though the agreement and power of attorney holder has disclosed commission income from the sale of asset vide sale document dated 27.4.2009 ? and iv. Whether the Tribunal was right in holding that the....

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....Income Tax Act. The assessees submitted a letter requesting the Assessing Officer to treat the return of income filed earlier as their reply. The assessees, who are two in number, are co-owners of the property along with 18 co-owners, who had leased out the property to M/s.Voltas Limited for a period of 30 years from 1975 onwards. The original owner of the property was one Mr.P.N.Chettiar and after his demise, his legal heirs are said to have executed a power of attorney in favour of one Mr.S.Saravanan, who, in turn, executed the sale deed dated 27.4.2009 in favour of the purchaser of the property. 5. In the reopening proceedings, the Assessing Officer found that these facts were not disclosed in the return of income, which aspect was ex....