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Normal jewellery collected by a woman in a married life of 25 years cannot be treated as Unexplained income – HC

Normal jewellery collected by a woman in a married life of 25 years cannot be treated as Unexplained income – HC

Unexplained income simply means any income for which assessee do not have valid explanation about the nature or source or the assessing officer is not satisfied with the explanation provided by the assessee. Under the provisions of Income-tax Act, 1961 broadly, the term ‘unexplained income’ is dealt with sections 68, 69, 69A, 69B, 69C and 69D.

According to Section 69A, where in any financial year the assessee is found to be the owner of any money, bullion, jewellery or other valuable article and such money, bullion, jewellery or valuable article is not recorded in the books of account, if any, maintained by him for any source of income, and the assessee offers no explanation about the nature and source of acquisition of the money, bullion, jewellery or other valuable article, or the explanation offered by him is not, in the opinion of the Assessing Officer, satisfactory, the money and the value of the bullion, jewellery or other valuable article may be deemed to be the income of the assessee for such financial year.

Let us refer to the case of Ashok Chaddha Vs ITO (Delhi High Court), where the issue under consideration was whether the addition of the entire jewellery found at the time of search as undisclosed income without appreciating that the said jewellery was acquired at the time of marriage over a period of time was correct in law or not.

Facts of the Case:

Appeal to Commissioner of Income Tax (Appeals) [CIT(A)] and Income Tax Appellate Tribunal (ITAT)

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Submissions before the High Court (HC)

Observations of the High Court (HC)

In conclusion, addition under Section 69A cannot be based on subjective guesswork. There should be a valid and substantial reasoning for the same. Normal jewellery collected by a woman in a married life of 25-30 years cannot be treated as Unexplained income to be added under Section 69A.

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