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2012 (12) TMI 1109 - AT - Income Tax

Issues involved:
Two appeals by different assessees against the order of CIT(A)-32, Mumbai for the assessment year 2005-06.

Issue 1: Addition u/s 69 - Acquisition of Shares

The Assessing Officer made additions of Rs. 63,000/- and Rs. 52,500/- u/s 69 in both cases based on information received regarding a hawala racket involving the assessees. The assessees explained the source of funds as speculative profit from brokers, but the AO was not satisfied. The CIT(A) upheld the additions, leading to appeals before the Tribunal.

Judgment:
The Tribunal found that the assessees were not provided with the statement of the individual on whose basis the additions were made, nor were they allowed to cross-examine. The shares were purchased through independent brokers, and share certificates were issued to the assessees. Considering these facts, the Tribunal held that the additions were not justified and deleted the amounts added in both cases.

Outcome:
The appeals of the assessees were allowed, and the additions of Rs. 63,000/- and Rs. 52,500/- were deleted in their respective cases. The legal grounds were not disposed of at this stage.

 

 

 

 

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