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2021 (4) TMI 1082 - AT - Income Tax


Issues:
1. Addition of loan transaction as unexplained under section 68 of the Income-tax Act.
2. Deletion of addition of commission paid on loans.
3. Deletion of addition of interest on loan transactions as non-genuine.

Issue 1: Addition of Loan Transaction as Unexplained under Section 68:
The appeal by Revenue challenged the CIT(A)'s deletion of the addition made by the Assessing Officer treating the loan transaction as unexplained under section 68 of the Act. The Assessing Officer added unexplained cash credit amounting to &8377; 2,22,50,000/-, alleging that the loans were received from a group concern and thus unexplained. The CIT(A) deleted the additions, emphasizing that the appellant submitted loan confirmations, bank statements, and income tax returns of the creditors, establishing the identity, genuineness, and creditworthiness of the transactions. The CIT(A) found that all three criteria for establishing the genuineness of the loans were fulfilled, directing the deletion of the addition. The Tribunal upheld the CIT(A)'s decision, noting that the Assessing Officer failed to verify the essential conditions of section 68, and there was no evidence to deem the loan parties as non-genuine. The Tribunal confirmed the CIT(A)'s order, dismissing the Revenue's appeal on this issue.

Issue 2: Deletion of Addition of Commission Paid on Loans:
The Revenue contested the CIT(A)'s deletion of the addition of commission paid on the loans received. However, since the CIT(A) had already determined the loans to be genuine, the Tribunal considered this ground consequential and dismissed the appeal on this issue.

Issue 3: Deletion of Addition of Interest on Loan Transactions as Non-Genuine:
Similarly, the Revenue challenged the CIT(A)'s decision to delete the addition of interest paid on the loan transactions as non-genuine. As the CIT(A) had already established the loans' genuineness, the Tribunal deemed this ground consequential and dismissed the appeal on this issue.

The Tribunal pronounced the order on 19.04.2021, dismissing both the appeal of Revenue and the Cross Objection (CO) of the assessee. The decision reaffirmed the CIT(A)'s findings regarding the genuineness of the loan transactions, emphasizing the importance of fulfilling the criteria of identity, creditworthiness, and genuineness in such cases.

 

 

 

 

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