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ITAT affirms LTCG deduction under Section 48(1) for encumbrance settlement and mortgage discharge; excludes diverted sale proceeds

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....ITAT upheld CIT(A)'s order allowing Assessee's deductions while computing LTCG on sale of encumbered immovable property. It rejected AO's view that Rs. 2 crore paid to a society to resolve rival ownership claims was a gratuitous payment, holding it to be expenditure incurred wholly and exclusively in connection with the transfer, deductible under s.48(i). ITAT further held that amounts directly paid by purchasers to SBI and Axis Bank for discharge of mortgage under SARFAESI constituted diversion of income by overriding title and never accrued to Assessee; such sums were correctly excluded from sale consideration. Revenue's appeal was dismissed in entirety.....