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2024 (11) TMI 872 - AT - Income Tax


Issues Involved:

1. Legitimacy of cash deposits during the demonetization period.
2. Application of Section 68 of the Income Tax Act, 1961.
3. Use of the theory of human probability in assessing unexplained cash credits.
4. Evaluation of evidence supporting cash sales and deposits.
5. Applicability of case law precedents.

Issue-wise Detailed Analysis:

1. Legitimacy of Cash Deposits During the Demonetization Period:

The primary issue revolves around the legitimacy of Rs. 16.24 crores deposited by the assessee during the demonetization period. The Assessing Officer (AO) observed abnormal variations in cash deposits during this period compared to prior periods, leading to suspicion about the source of these funds. The AO noted that the assessee maintained a minimal cash balance before demonetization, which dramatically increased during the demonetization period, suggesting this was against human probability. The assessee argued that these deposits were from cash sales made before demonetization, supported by sales bills and stock records.

2. Application of Section 68 of the Income Tax Act, 1961:

The AO treated Rs. 15.74 crores of the cash deposits as unexplained cash credits under Section 68 of the Income Tax Act, 1961. The AO's decision was based on the inability of the assessee to provide a satisfactory explanation for the sudden increase in cash balance during the demonetization period. The CIT(A) later overturned this addition, stating that the AO failed to provide evidence of discrepancies in the sales declared or in the books of accounts maintained by the assessee.

3. Use of the Theory of Human Probability:

The AO applied the theory of human probability, citing Supreme Court decisions in CIT Vs. Durga Prasad More and Sumati Dayal Vs. CIT, to argue that the cash deposits were improbable given the assessee's past financial behavior. However, the CIT(A) and the Tribunal disagreed, stating that the theory of human probability cannot be universally applied and must be supported by concrete evidence, which the AO failed to provide.

4. Evaluation of Evidence Supporting Cash Sales and Deposits:

The assessee provided comparative statements of purchases, sales, cash sales, and cash deposits over several financial years, arguing that there was no abnormal variation during the demonetization period. The CIT(A) found no discrepancies in the sales declared or the books of accounts. The Tribunal noted that the AO did not dispute the purchases or stock-in-trade, nor did they find discrepancies in the books of accounts. The Tribunal concluded that the AO's reliance on the theory of human probability was based on suspicion rather than evidence.

5. Applicability of Case Law Precedents:

The AO relied on Supreme Court rulings to justify the addition under Section 68. However, the Tribunal found these cases inapplicable, as they involved different factual scenarios. The Tribunal emphasized that the assessee's explanation was supported by evidence, distinguishing it from the cases cited by the AO. The Tribunal also referenced similar judgments, such as the ITAT Visakhapatnam Bench's decision in ACIT Vs. M/s Hirapanna Jewellers, which supported the assessee's position.

In conclusion, the Tribunal upheld the CIT(A)'s decision to delete the additions made by the AO, finding that the cash deposits were adequately explained by the assessee and supported by documentary evidence. The appeal filed by the Revenue was dismissed, affirming the legitimacy of the cash deposits during the demonetization period.

 

 

 

 

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