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Issues: Inclusion of cash credit in assessment
In this judgment by the Appellate Tribunal ITAT Jaipur, the issue revolved around the inclusion of a cash credit of Rs. 3,000 in the assessment, along with interest thereon amounting to Rs. 210. The assessee, a partnership concern deriving income from commission agency in Ghee and from dealings on own account in sugar and oil, was under assessment for the year 1975-76. The initial onus was on the assessee to establish the genuineness of the cash credit entry in its books of account. The Income Tax authorities could treat the amount as the assessee's taxable receipt if the genuineness was not established. However, if the assessee provided material to establish the genuineness of the creditor and the transaction, the authorities could not treat the amount as the assessee's income without concrete evidence that the transaction was not genuine. In this case, the creditor, Shri Kishanlal, appeared before the Income Tax Officer (ITO) and acknowledged the transaction. He explained that the amount was partly from his own past savings and partly borrowed from a close relation, Shri Likhiram. Despite this, the ITO and the learned AAC treated the amount as the assessee's income from an undisclosed source, doubting the genuineness of the transaction without proper inquiry. The Tribunal held that the assessee had successfully established the genuineness of the credit. The authorities failed to conduct necessary inquiries regarding the borrowed amount from Shri Likhiram, whose address was provided to the ITO. Since no material existed to suggest that the cash credit was not genuine, the addition of Rs. 3,000 along with interest was deleted. The Tribunal emphasized that if there were doubts about the creditor's capacity, assessment proceedings could be initiated in the creditor's case. Ultimately, the appeal succeeded in favor of the assessee.
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