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1980 (5) TMI 71 - AT - Income Tax

Issues:
Appeal against addition of Rs. 9,000 as cash credit in the books of the assessee for the assessment year 1975-76.

Analysis:
The case involved an appeal by the assessee against the addition of Rs. 9,000 as a cash credit in the books. The assessee was required to prove the genuineness of the cash credit appearing in the name of a creditor, Shri Niranjansingh. The Income Tax Officer (ITO) concluded that the amount represented income from undisclosed sources and was introduced as a cash credit. The Appellate Assistant Commissioner (AAC) upheld the addition, leading to the appeal before the Tribunal.

The central issue before the Tribunal was whether the assessee had successfully proven the genuineness of the cash credit. The assessee argued that the identity and capacity of the creditor were established, shifting the burden to the Revenue to prove the entries were incorrect. The Revenue contended that since the source of the credit was not proven, the addition was justified. The Tribunal referred to legal precedents and emphasized the need for the assessee to prove the transaction leading to a cash credit, including the identity, capacity of the creditor, and the genuineness of the transaction.

The Tribunal found that the assessee had indeed proved the identity and capacity of the creditor, Shri Niranjansingh, who was a person of means with significant land holdings. The source of the deposit was claimed to be income from agricultural produce, supported by accounts of relevant concerns. The Tribunal disagreed with the Revenue's argument that the withdrawal from another entity's books was the source, clarifying it was the mode of deposit. As the creditor affirmed the loan, the onus shifted to the Revenue, which failed to rebut the assessee's case. Consequently, the Tribunal held the cash credit transaction as genuine and reversed the AAC's order, deleting the addition of Rs. 9,000.

In conclusion, the Tribunal allowed the appeal, emphasizing that the assessee had successfully discharged its burden of proof regarding the cash credit's genuineness. The decision highlighted the importance of establishing the source of funds in cases of cash credits and the shifting of the burden of proof based on the evidence presented by the parties involved.

 

 

 

 

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