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Home Case Index All Cases Income Tax Income Tax + HC Income Tax - 2006 (11) TMI HC This

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2006 (11) TMI 117 - HC - Income Tax


  1. 2022 (6) TMI 670 - HC
  2. 2020 (9) TMI 492 - HC
  3. 2017 (11) TMI 1673 - HC
  4. 2017 (11) TMI 461 - HC
  5. 2017 (11) TMI 520 - HC
  6. 2015 (8) TMI 569 - HC
  7. 2015 (7) TMI 692 - HC
  8. 2014 (8) TMI 486 - HC
  9. 2014 (7) TMI 47 - HC
  10. 2014 (2) TMI 30 - HC
  11. 2024 (10) TMI 993 - AT
  12. 2024 (10) TMI 425 - AT
  13. 2024 (10) TMI 696 - AT
  14. 2024 (9) TMI 506 - AT
  15. 2024 (8) TMI 741 - AT
  16. 2024 (2) TMI 1198 - AT
  17. 2024 (1) TMI 1288 - AT
  18. 2023 (12) TMI 1348 - AT
  19. 2024 (7) TMI 880 - AT
  20. 2024 (1) TMI 791 - AT
  21. 2023 (11) TMI 630 - AT
  22. 2023 (7) TMI 1322 - AT
  23. 2023 (7) TMI 1280 - AT
  24. 2023 (9) TMI 249 - AT
  25. 2023 (10) TMI 187 - AT
  26. 2023 (6) TMI 1432 - AT
  27. 2023 (5) TMI 738 - AT
  28. 2023 (5) TMI 997 - AT
  29. 2023 (4) TMI 691 - AT
  30. 2023 (3) TMI 1148 - AT
  31. 2023 (3) TMI 1516 - AT
  32. 2023 (2) TMI 959 - AT
  33. 2022 (12) TMI 750 - AT
  34. 2022 (11) TMI 1334 - AT
  35. 2022 (11) TMI 1333 - AT
  36. 2022 (11) TMI 1474 - AT
  37. 2022 (10) TMI 116 - AT
  38. 2022 (10) TMI 416 - AT
  39. 2022 (9) TMI 1021 - AT
  40. 2023 (1) TMI 1111 - AT
  41. 2022 (11) TMI 711 - AT
  42. 2022 (5) TMI 829 - AT
  43. 2022 (4) TMI 1592 - AT
  44. 2022 (4) TMI 741 - AT
  45. 2022 (4) TMI 537 - AT
  46. 2022 (1) TMI 651 - AT
  47. 2021 (9) TMI 856 - AT
  48. 2021 (9) TMI 887 - AT
  49. 2021 (12) TMI 95 - AT
  50. 2021 (7) TMI 81 - AT
  51. 2021 (4) TMI 684 - AT
  52. 2021 (4) TMI 584 - AT
  53. 2021 (4) TMI 475 - AT
  54. 2021 (2) TMI 677 - AT
  55. 2021 (1) TMI 945 - AT
  56. 2020 (11) TMI 607 - AT
  57. 2020 (11) TMI 480 - AT
  58. 2021 (1) TMI 354 - AT
  59. 2020 (10) TMI 1191 - AT
  60. 2020 (10) TMI 1015 - AT
  61. 2020 (2) TMI 1501 - AT
  62. 2020 (3) TMI 873 - AT
  63. 2020 (2) TMI 1091 - AT
  64. 2020 (4) TMI 299 - AT
  65. 2020 (2) TMI 254 - AT
  66. 2020 (4) TMI 263 - AT
  67. 2020 (2) TMI 775 - AT
  68. 2020 (1) TMI 683 - AT
  69. 2019 (11) TMI 647 - AT
  70. 2019 (10) TMI 1409 - AT
  71. 2019 (9) TMI 685 - AT
  72. 2019 (9) TMI 721 - AT
  73. 2019 (7) TMI 538 - AT
  74. 2019 (9) TMI 90 - AT
  75. 2019 (5) TMI 531 - AT
  76. 2019 (4) TMI 2012 - AT
  77. 2019 (3) TMI 553 - AT
  78. 2018 (12) TMI 1998 - AT
  79. 2018 (12) TMI 1693 - AT
  80. 2018 (9) TMI 865 - AT
  81. 2018 (9) TMI 777 - AT
  82. 2018 (8) TMI 1191 - AT
  83. 2018 (7) TMI 2011 - AT
  84. 2018 (7) TMI 132 - AT
  85. 2018 (6) TMI 1391 - AT
  86. 2018 (6) TMI 1273 - AT
  87. 2018 (6) TMI 1240 - AT
  88. 2018 (4) TMI 1938 - AT
  89. 2018 (4) TMI 998 - AT
  90. 2018 (2) TMI 1206 - AT
  91. 2017 (10) TMI 1016 - AT
  92. 2017 (10) TMI 1492 - AT
  93. 2017 (10) TMI 1491 - AT
  94. 2017 (11) TMI 112 - AT
  95. 2017 (9) TMI 1633 - AT
  96. 2017 (8) TMI 948 - AT
  97. 2017 (6) TMI 170 - AT
  98. 2017 (5) TMI 1658 - AT
  99. 2017 (4) TMI 1445 - AT
  100. 2017 (4) TMI 532 - AT
  101. 2017 (2) TMI 1553 - AT
  102. 2017 (9) TMI 1512 - AT
  103. 2017 (7) TMI 203 - AT
  104. 2016 (12) TMI 555 - AT
  105. 2016 (12) TMI 549 - AT
  106. 2016 (10) TMI 1355 - AT
  107. 2016 (11) TMI 391 - AT
  108. 2017 (2) TMI 74 - AT
  109. 2016 (9) TMI 1538 - AT
  110. 2016 (9) TMI 813 - AT
  111. 2016 (9) TMI 810 - AT
  112. 2016 (11) TMI 1034 - AT
  113. 2016 (5) TMI 1515 - AT
  114. 2016 (5) TMI 634 - AT
  115. 2016 (3) TMI 1233 - AT
  116. 2016 (3) TMI 1247 - AT
  117. 2016 (2) TMI 1207 - AT
  118. 2016 (3) TMI 20 - AT
  119. 2016 (2) TMI 1098 - AT
  120. 2015 (12) TMI 1693 - AT
  121. 2016 (1) TMI 359 - AT
  122. 2016 (1) TMI 248 - AT
  123. 2015 (12) TMI 765 - AT
  124. 2016 (6) TMI 244 - AT
  125. 2015 (11) TMI 1128 - AT
  126. 2013 (10) TMI 608 - AT
  127. 2012 (10) TMI 1254 - AT
  128. 2014 (6) TMI 245 - AT
  129. 2012 (12) TMI 715 - AT
  130. 2011 (8) TMI 1329 - AT
  131. 2008 (7) TMI 446 - AT
Issues Involved:
1. Justification of the Tribunal's decision to disallow Rs. 40,13,000 under Section 40A(3) of the Income Tax Act.
2. Justification of the Tribunal's decision to add Rs. 6,98,000 as peak cash credits.
3. Applicability of Section 40A(3) read with Rule 6DD to the purchase of goods, specifically scooters.

Detailed Analysis:

Issue 1: Justification of the Tribunal's Decision to Disallow Rs. 40,13,000 under Section 40A(3)
The Tribunal held that the addition of Rs. 40,13,000 under Section 40A(3) was justified as the payments made by the assessee to M/s. Ganesh Automobiles exceeded Rs. 10,000 and were made in cash instead of through crossed cheques or bank drafts. The Tribunal found that the assessee failed to prove the existence of exceptional and unavoidable circumstances under Rule 6DD that would justify such cash payments. However, the High Court observed that the Tribunal erred by considering the instances in the Circular issued by the Central Board of Direct Taxes (CBDT) as exhaustive. The primary objective of Section 40A(3) was to curb tax evasion and inculcate banking habits. The Tribunal overlooked the genuineness of the transactions and the identity of the payee, which are relevant considerations. The High Court referenced the Supreme Court's judgment in Commercial Tax Officer vs. Swastik Roadways, emphasizing the need for a nexus between the consequence of non-compliance and the object of the provision. The High Court concluded that the Tribunal's decision was incorrect and set aside the addition of Rs. 40,13,000.

Issue 2: Justification of the Tribunal's Decision to Add Rs. 6,98,000 as Peak Cash Credits
The Tribunal found that the addition of Rs. 6,98,000 as peak cash credits was justified based on the facts and circumstances of the case. The Tribunal noted that the assessee received cash from customers for the sale of scooters and made payments to the selling dealer, M/s. Ganesh Automobiles. However, the High Court observed that the Tribunal's findings were contradictory. If the amount of Rs. 6,98,000 was part of the consideration received from customers and paid to the dealer, it could not be considered unexplained cash credit. The High Court held that the issue of Rs. 6,98,000 should be reconsidered by the Income Tax Officer (ITO) in light of the Tribunal's directions regarding unexplained cash credits. The High Court set aside the Tribunal's order on this point and directed the ITO to re-examine the matter.

Issue 3: Applicability of Section 40A(3) Read with Rule 6DD to the Purchase of Goods
The High Court examined whether Section 40A(3) and Rule 6DD applied to the purchase of goods, specifically scooters. The Court noted that Section 40A(3) aimed to prevent tax evasion and promote banking habits by disallowing deductions for cash payments exceeding Rs. 10,000. Rule 6DD provided exceptions for situations where cash payments were unavoidable. The High Court emphasized that the exceptions listed in the CBDT Circular were illustrative, not exhaustive. The Court found that the assessee's transactions were genuine, and the identity of the payee was established. The assessee had opened a bank account to facilitate quick transfers and had given a signed cheque book to the dealer. The High Court concluded that the assessee's case fell within the parameters of Rule 6DD and the CBDT Circular. The Tribunal's restrictive interpretation was incorrect, and the High Court allowed the appeal, setting aside the Tribunal's order regarding the disallowance under Section 40A(3).

Conclusion:
The High Court allowed the appeal, setting aside the Tribunal's order to the extent it sustained the addition of Rs. 40,13,000 under Section 40A(3). The Court also directed the ITO to reconsider the issue of Rs. 6,98,000 as peak cash credits in light of the Tribunal's directions. The High Court emphasized the need for a liberal interpretation of Rule 6DD and the CBDT Circular, considering the genuineness of transactions and the identity of the payee.

 

 

 

 

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