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1986 (10) TMI 63 - AT - Income Tax

Issues:
Verification of deposits made by creditors for genuineness and capacity to advance the amounts.

Analysis:
The appeal pertains to the assessment year 1975-76 where the assessee, a limited concern, had certain deposits made by individuals named Shri Lalit Ram Tewari, Hari Lal Paswan, and Babulal. The Assessing Officer required the assessee to produce these individuals for verifying the genuineness of the deposits. Shri Lalit Ram Tewari was produced, and his statement confirmed the deposits. However, the remaining two creditors could not be produced. The Assessing Officer concluded that Shri Lalit Ram did not have the status to advance the entire amount, and only a part of the deposit was accepted as genuine. The amounts deposited by the other two creditors were added to the assessee's income as undisclosed sources due to lack of verification and confirmation. The CIT (A) upheld these additions, leading to the current appeal.

The authorized representative for the assessee contended that the depositors were sub-dealers of the assessee and had the capacity to advance the amounts. On the contrary, the departmental representative argued that the failure to produce the remaining two depositors and lack of confirmations raised doubts on the genuineness of the deposits. The Revenue emphasized that mere confirmatory letters were insufficient to establish the authenticity of the deposits and the capacity of the depositors to advance the amounts.

Upon consideration, the tribunal found that Shri Lalit Ram Tewari had a valid license to sell kerosene, engaged in regular transactions with the assessee, and had the capacity to advance the amount in question. Hence, the addition related to his deposit was deleted. However, for the deposits made by Shri Hari Lal Paswan and Babulal, the tribunal noted the absence of confirmatory letters and the failure to establish the capacity of the depositors to advance the amounts. Consequently, the additions related to these deposits were upheld based on lack of evidence.

Additionally, the tribunal highlighted that the history of previous ingenuine deposits by Shri B. Lal in the assessee's account books during the preceding year further cast doubt on the authenticity of the current deposit. Therefore, the tribunal affirmed the additions related to Shri B. Lal's deposit as well. As a result, the appeal was allowed in part, with the tribunal upholding certain additions while deleting others based on the evidence and arguments presented.

 

 

 

 

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