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1976 (7) TMI 73 - AT - Income Tax

Issues:
1. Assessment of income based on alleged purchases from a non-existent supplier.
2. Discrepancies in evidence regarding the genuineness of purchases made.
3. Application of sections 69 and 69A of the Income Tax Act.

Detailed Analysis:
1. The case involved the assessment of income for a firm dealing in chemicals, where the Assessing Officer (ITO) added a substantial amount to the income based on alleged purchases from a supplier, Modern Traders, who were found to be non-existent and involved in passing havalas. The firm claimed to have purchased goods worth Rs. 1,71,629 from Modern Traders, but the ITO raised concerns about the genuineness of these transactions as Modern Traders could not be traced, and payments made by the firm were immediately withdrawn by them. The ITO concluded that the cheques issued were a mere camouflage, leading to the addition of the amount to the firm's income under sections 69 and 69A.

2. The matter was appealed before the Appellate Authority (AAC), where the firm argued that the admission of Modern Traders about their business practices was not relevant to the assessment year in question. The firm contended that despite the inability to trace Modern Traders, the purchases were genuine and accounted for in their stock register. The AAC accepted the firm's appeal, noting that the Sales Tax Department had accepted the firm's return and that there was no evidence to support the ITO's conclusions, leading to the deletion of the addition.

3. The ITO appealed against the AAC's order, arguing that the firm failed to produce Modern Traders and that the payments made were converted into cash immediately after deposit. The Departmental Representative highlighted the logic behind invoking sections 69 and 69A, emphasizing the need to consider the source of funds used to acquire the goods. The firm's representative reiterated their arguments, emphasizing the receipt of goods, payment by cheques, and the lack of evidence linking the payments back to the firm.

4. The Tribunal observed that the failure to provide a copy of Modern Traders' statement to the firm and the absence of their representative for examination were procedural defects. The Tribunal found no direct impact of Modern Traders' admission post-1970 on the firm's assessment for the relevant year. It emphasized the lack of conclusive proof against the firm based on allegations alone and stressed the importance of providing a proper opportunity for cross-examination. The Tribunal concluded that the evidence presented did not establish the case against the firm, especially considering the entries in the stock register and the absence of funds returning to the firm.

5. The Tribunal further noted that once the receipt of goods from Modern Traders was accepted, the application of sections 69 and 69A would not be warranted. Ultimately, considering all aspects, the Tribunal dismissed the Department's appeal, stating that there was no reason to doubt the firm's books of account regarding the disputed transactions.

 

 

 

 

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