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2008 (7) TMI 977 - HC - Income Tax

Issues involved: Determination of genuineness of purchases made by an export-oriented firm and applicability of Section 40A(3) for payments exceeding a certain limit.

Summary:
The High Court of Calcutta reviewed a case involving an export-oriented firm dealing in leather goods. The firm's total export turnover and purchases were detailed, with a specific focus on purchases from 15 parties amounting to a certain sum. The Assessing Officer disallowed this amount due to the inability to produce the seller during assessment. However, upon examination of stock books and other records, it was found that the purchases were genuine and properly documented through various manufacturing stages. The genuineness of the purchases was acknowledged by the CIT (Appeal), although Section 40A(3) was invoked due to payment methods exceeding a specified threshold. The Court noted that the purchases were indeed genuine, and the addition under Section 40A(3) was deleted by the Tribunal. The CIT (Appeal) was directed to reconsider another aspect of the case, leading to the dismissal of the appeal as no substantial legal question was identified. All parties were instructed to act on the order, with provisions for obtaining certified copies if needed.

 

 

 

 

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