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2012 (2) TMI 540 - HC - Income Tax

Issues involved: Appeal u/s 260A of the Income-tax Act against order dismissing addition of income u/s 68 of the Act.

Summary:
1. The revenue appealed against the order of the Tribunal upholding the deletion of an addition of income made by the Assessing Officer u/s 68 of the Income-tax Act for the Assessment Year 2000-01.

2. The assessee, a private limited company, declared income and unsecured loans in its return for the relevant year. The Assessing Officer added a certain amount under section 68 as the assessee failed to prove the genuineness of transactions and creditworthiness of creditors.

3. The Commissioner, after considering additional evidence under Rule 46A of the Income Tax Rules, deleted the addition, concluding that the assessee had established the genuineness of transactions and creditworthiness of the creditor.

4. The Tribunal upheld the Commissioner's order, emphasizing that the assessee proved the identity, creditworthiness, and genuineness of the transactions. The Tribunal found no legal infirmity in the view taken by the Commissioner and dismissed the appeal.

5. The High Court held that no substantial question of law arose in the appeal as the Commissioner and Tribunal had made factual findings in favor of the assessee. The court noted that the revenue failed to counter the additional evidence presented by the assessee, and the assessee demonstrated the lack of service of notices under relevant sections of the Act. The court upheld the decision to dismiss the appeal, as the assessee had sufficiently proven the essential aspects of the transactions.

 

 

 

 

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