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2017 (3) TMI 965 - AT - Income Tax


Issues:
Delay in filing appeal before the Tribunal, Addition of unexplained cash credit under section 68 of the Income Tax Act, 1961, Disallowance of advances made by creditors, Burden of proof on the assessee, Validity of additions made by lower authorities.

Analysis:
1. Delay in filing appeal: The Tribunal observed a delay of 10 days in filing the appeal by the assessee. The assessee provided reasons for the delay, supported by an affidavit. The Tribunal accepted the reasons as sufficient cause and condoned the delay, proceeding to hear the appeal on merits.

2. Addition of unexplained cash credit: The assessee contested the addition of ?11,42,010 out of ?21,38,100 made by the Assessing Officer under section 68 of the Act. The CIT(A) upheld the addition, stating that the creditworthiness of certain parties was not proven. However, the Tribunal found that the assessee had furnished necessary details and ledgers, showing that the advances were billed in subsequent years. Relying on the judgment of the Calcutta High Court, the Tribunal reversed the lower authorities' decision, holding that the additions were not sustainable.

3. Disallowance of advances made by creditors: The Assessing Officer issued notices to parties for verification of transactions. Some parties failed to provide PAN details or income sources, leading to doubts about creditworthiness. The CIT(A) partially allowed the appeal, accepting advances from certain parties as genuine while upholding the disallowance for others due to lack of creditworthiness.

4. Burden of proof on the assessee: The assessee argued that parties did not appear due to fear, and the AO should have conducted further inquiries. The CIT(A) considered practical difficulties but only partially allowed the appeal based on creditworthiness tests. The Tribunal, however, held that the burden was discharged by the assessee through detailed submissions and ledger copies.

5. Validity of additions made by lower authorities: The Tribunal found that the lower authorities' decision was not sustainable as the assessee provided necessary details supporting the advances and subsequent sales. The Tribunal emphasized that failure to serve notices or furnish desired details cannot be the sole basis for additions. Relying on precedents, the Tribunal allowed the appeal, reversing the lower authorities' orders.

This detailed analysis covers the issues of delay in filing the appeal, addition of unexplained cash credit, disallowance of advances, burden of proof, and the validity of lower authorities' decisions, providing a comprehensive understanding of the judgment.

 

 

 

 

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