Held that when the unaccounted receipts from sale of properties were subjected to taxation as part of capital gains computation, related unaccounted expenditures stood explained and could not be taxed separately as unexplained expenses under section 69C. Tribunal also held that cash payments related to personal expenses, were sourced from unaccounted receipts, addition is deleted. (AY. 2016-17 to 2019-20)
Kailash Ramavatar Goenka. v. ACIT (2025) 211 ITD 317 (Ahd) (Trib.)
S. 48 : Capital gains-Mode of Computation-Cost of acquisition-Unaccounted receipts taxed as part of capital gains, related unaccounted expenditure cannot be taxed separately-Cash payments related to personal expenses, were sourced from unaccounted receipts-Personal expenditure is deleted. [S.45 69C]
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