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2024 (10) TMI 991 - AT - Income Tax


Issues Involved:

1. Legality of the initiation and passing of the order under Section 263 of the Income Tax Act by the Principal Commissioner of Income Tax (PCIT).
2. Determination of whether the assessment order passed under Section 143(3) was erroneous and prejudicial to the interest of the Revenue.
3. Examination of the genuineness of the long-term capital gains claimed by the assessee under Section 10(38) of the Income Tax Act.

Issue-wise Detailed Analysis:

1. Legality of the initiation and passing of the order under Section 263:

The assessee challenged the initiation and passing of the order under Section 263 by the PCIT, arguing that the order was "bad in law and contrary to the provisions of law and facts." The PCIT initiated the revision proceedings on the grounds that the Assessing Officer (AO) failed to conduct a thorough inquiry into the suspicious sale transactions in shares of GCM Securities Ltd., identified as a penny stock. The PCIT relied on an investigation report from the Directorate of Investigation, Kolkata, which revealed manipulation in the shares of GCM Securities Ltd. The Tribunal found that the PCIT was justified in invoking Section 263, as the AO did not make the necessary inquiries, and thus, the order was neither erroneous nor prejudicial to the interest of the Revenue.

2. Determination of whether the assessment order was erroneous and prejudicial to the interest of the Revenue:

The Tribunal examined whether the AO's assessment order, which accepted the assessee's claim of exempt long-term capital gains without sufficient inquiry, was erroneous and prejudicial to the interest of the Revenue. The PCIT argued that the AO only made superficial inquiries and failed to consider the investigation report that indicated manipulation in the shares of GCM Securities Ltd. The Tribunal agreed with the PCIT, noting that the AO did not confront the assessee with the investigation findings or conduct a thorough examination of the transactions, thereby rendering the assessment order erroneous and prejudicial to the Revenue.

3. Examination of the genuineness of the long-term capital gains claimed under Section 10(38):

The assessee claimed exemption under Section 10(38) for long-term capital gains from the sale of shares in GCM Securities Ltd. The PCIT's revision order was based on the investigation report, which suggested that the gains were bogus, as the shares were manipulated to create artificial gains. The Tribunal referenced various legal precedents, including the Supreme Court's emphasis on the principle of "substance over form" and the need to consider the preponderance of human probability. The Tribunal concluded that the AO failed to verify the genuineness of the transactions adequately and that the onus was on the assessee to prove the legitimacy of the gains. The Tribunal upheld the PCIT's order to set aside the assessment for fresh examination, directing the AO to provide all relevant materials to the assessee and conduct a proper inquiry.

Conclusion:

The Tribunal dismissed the appeal filed by the assessee, upholding the PCIT's order under Section 263. It directed the AO to re-examine the transactions concerning GCM Securities Ltd. shares and pass a fresh assessment order after providing adequate opportunities for the assessee to be heard. The Tribunal emphasized the necessity of thorough inquiries in cases involving alleged manipulation of penny stocks and the importance of considering the surrounding circumstances to determine the genuineness of claimed exemptions.

 

 

 

 

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