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2025 (4) TMI 941

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....l/2013 in respect of assessment year [AY] 2008-09. The impugned order is the common order passed by the learned ITAT in ITA No. 6798/Del/2013, which was preferred by the Assessee, as well as ITA No. 1130/Del/2014 which was preferred by the Revenue against an order dated 11.11.2013 passed by the Commissioner of Income Tax (Appeals)-IV, New Delhi [CIT(A)]. Whilst the learned ITAT partly allowed the Assessee's appeal, the Revenue's appeal was dismissed. The Revenue has not preferred any appeal against the impugned order to the extent that its appeal was dismissed; the present appeal is confined to the impugned order passed in respect of the Assessee's appeal. QUESTION OF LAW 2. The present appeal was admitted on the following question of....

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....RS.) 1 Shibu Natesan 40" x 60" 30 lacs 2 Bhupen Kakar 10" x 9" 10 lacs 3 F N Souza 10" x 9" 10 lacs 4 Manjit Bawa 10" x 10" 30 lacs 5 Jogen Chowdhary 5" x 5" 10 lacs 6 Arpana Caur 8" x 10" 10 lacs   TOTAL   1 crore" 7. The Assessee claimed that the said works of art were his personal collections and not the inventory of the firm. He also claimed that the said works of art -except the painting by Ms Caur which was gifted to his mother - were gifted to him by the respective artists. In support of his contention, the Assessee had also produced letters signed by the said artists except in respect of a sketch by Sh. Manjit Bawa, who had expired. In r....

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....owever, the learned CIT(A) was of the view that the estimate of values of the said works of art was "at a higher side". He accordingly reduced the addition to a sum of Rs. 58,00,100/- as under: "S.No. Artist Size Amount (Rs) 1. Shibu Natesan 40" x 60" 12,00,000 2. Bhupen Kakar 10" x 9" 10,00,000 3. F N Souza 10" x 9" 10,00,000 4. Manjit Bawa 10" x 10" 12,00,000 5. Jogen Choudhary 5" x 5" 6,00,000 6. Arpana Caur 8" x 10" 8,00,100   Total   58,00,100" 13. As noted above, the Assessee appealed the said decision before the learned ITAT. The learned ITAT did not interfere with the said decision. The learned ITAT reasoned that the artists ....

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....ay supply gaps in the evidence which may not on account of delay or the nature of the transactions or for other reasons be supplied from independent sources. But the Tribunal cannot make arbitrary decisions : it cannot found its judgment on conjectures, surmises or speculation. Between the claims of the public revenue and of the tax payers, the Tribunal must maintain a judicial balance. The order passed by the Tribunal without recording any reasons in support of the estimate of unaccounted income cannot, therefore, be sustained. 16. We also consider it apposite to refer to the oft quoted judgement of the Supreme Court in Dhakeswari Cotton Mills Ltd. v. Commissioner of Income Tax, West Bengal : (1954) 26 ITR 775 and take note of the follo....

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....question that remains to be examined is whether the Assessee had established the genuineness of the transaction. 19. In his support, the Assessee had produced letters of confirmation by the artists and in one case, by the daughter of the deceased artist. The said letters confirmed that all the works in question, except one, were gifted to the Assessee and the work by Ms Arpana Caur was gifted to the Assessee's mother. 20. It is also material to note that the description on some of the works of art also clearly indicate that the same were gifted. 21. The sketch made by Mr. Manjit Bawa clearly mentions below his signature that it was "To Rohit/Rahul". Clearly if the said sketch was to be included as an inventory for sale, the same wo....

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....everal years and some of them are also his friends/ acquaintances of his mother. There is no material to controvert this assertion as well. 29. In the given circumstances, where the donors have confirmed that they have gifted the works of art to the Assessee and that they are the friends and acquaintances of the Assessee; there is also no reason to doubt the genuineness of the transactions. 30. Any addition to the income of the Assessee is required to be based on cogent material and not on mere surmises and conjectures. It is also material to record that Assessee is a constituent partner of a firm that is engaged in running an art gallery. This also clearly establishes that the Assessee would be acquainted with the artists in question....