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2024 (7) TMI 1131 - AT - Income Tax


Issues Involved:
1. Validity of re-assessment proceedings under Section 147 of the Income Tax Act.
2. Addition on account of bogus purchases.
3. Addition on account of transactions in penny stocks.
4. Addition on account of unexplained share transactions.
5. Treatment of advances as unexplained investments under Section 69 of the Income Tax Act.

Issue-wise Detailed Analysis:

1. Validity of Re-assessment Proceedings under Section 147 of the Income Tax Act:
The Tribunal examined whether the re-assessment proceedings initiated under Section 147 were valid. The Revenue argued that credible information was received from the DDIT (Inv.) and the Enforcement Directorate (ED) about money laundering and foreign remittances using fake import documents. The Revenue contended that the Assessing Officer (AO) had sufficient reason to believe that income had escaped assessment. The Tribunal upheld the validity of the re-assessment proceedings, citing that there was prima facie material to justify the AO's belief, supported by the decisions of the Hon'ble Supreme Court in Raymond Woollen Mills Ltd. and Rajesh Jhaveri Stock Brokers Pvt. Ltd., and the Hon'ble Gujarat High Court in Keshav Diamonds Pvt. Ltd.

2. Addition on Account of Bogus Purchases:
The AO made an addition of Rs. 49,98,58,018/- on account of bogus purchases from entities related to Afroz Mohd Hassanfatta. The CIT(A) restricted the addition to Rs. 27,29,810/- by applying a profit element of 2% on the alleged bogus purchases. The Tribunal, following the precedent set in the case of Pankaj K. Chaudhary, held that a 6% addition on the bogus purchases would be appropriate. Consequently, the Tribunal partly allowed the Revenue's appeal and sustained the addition to the extent of 6% of the bogus purchases.

3. Addition on Account of Transactions in Penny Stocks:
The AO added Rs. 51,24,834/- related to transactions in the penny stock of Birla Pacific Madspa Ltd., alleging that the assessee was a beneficiary of accommodation entries. The CIT(A) deleted the addition, stating that the transactions were made in the regular course of trading, resulting in a loss of Rs. 1,86,641/-, and were funded from explained sources. The Tribunal upheld the CIT(A)'s decision, finding no reason to interfere with the findings.

4. Addition on Account of Unexplained Share Transactions:
The AO added Rs. 13,09,599/- related to unexplained share transactions in M/s Orissa Mineral Development Co. Ltd. The CIT(A) deleted the addition, noting that the transactions were supported by broker notes and bank statements, and the assessee incurred a loss of Rs. 35,11,427/-. The Tribunal upheld the CIT(A)'s decision, dismissing the Revenue's grounds.

5. Treatment of Advances as Unexplained Investments under Section 69 of the Income Tax Act:
The AO treated advances of Rs. 2,65,00,000/- and Rs. 57,00,000/- given to M/s MB Offshore Distributors Pvt. Ltd. and M/s RA Distributor Pvt. Ltd. respectively as unexplained investments under Section 69. The CIT(A) found that these amounts were advances returned the next day and were recorded in the books of the assessee. The Tribunal upheld the CIT(A)'s decision, citing the Hon'ble Gujarat High Court's decision in CIT vs. Ayachi Chandrashekar Narsangji and the Tribunal's decision in Mega Polymers vs. ITO.

Conclusion:
The Tribunal partly allowed the Revenue's appeals and dismissed the assessee's cross objections. The Tribunal sustained an addition of 6% of the bogus purchases and upheld the CIT(A)'s decisions on the other issues. The Tribunal's order was consistent with the principles established in similar cases and supported by relevant judicial precedents.

 

 

 

 

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