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The judgment involves the interpretation of provisions of section 69D of the Income-tax Act related to additions made in the assessment, specifically regarding the genuineness of borrowings and the classification of a transaction as a hundi or a pro note. Interpretation of Section 69D: The Tribunal referred a question regarding the addition made of Rs. 1,89,936 under section 69D. The court held that the genuineness of the transaction must be determined before assessing whether the amount covered by the document is income u/s 69D. The court emphasized that the question of income under section 69D arises only after establishing the genuineness of the transaction. Decision and Direction: The court returned the reference, stating that the question referred does not arise for consideration at the present stage. The court directed that the case should be decided in line with a Division Bench decision, CIT v. Paranjothi Salt Co., if the transactions are found to be genuine. The court kept all contentions open and made no order as to costs.
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