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2025 (1) TMI 761 - AT - Income Tax


1. ISSUES PRESENTED and CONSIDERED

The legal judgment addresses several core issues:

  • Whether the order passed by the CIT(A) confirming the additions made by the AO under section 153A is valid, given the alleged unlawful search.
  • Whether the proceedings initiated and assessments framed under section 153A are in violation of statutory conditions and procedures, thus rendering them invalid.
  • Whether the additions made under section 153A r.w.s. 143(3) without any incriminating material found during the search are justified.
  • Whether the proceedings under section 153A violated mandatory provisions of Section 153D.
  • Whether the addition of gross profit by the AO, treating sales/purchases as not genuine, is justified without pointing out defects in the books of accounts.
  • Whether the rejection of the assessee's contention regarding double taxation of income is valid.
  • Whether the reliance on third-party statements without allowing cross-examination violates the assessee's rights.
  • Whether the assessment order was based on conjectures without adverse material on record.

2. ISSUE-WISE DETAILED ANALYSIS

Issue 1: Validity of CIT(A) Order and Unlawful Search

  • Legal Framework: The assessment under section 153A is contingent upon a lawful search under the Income Tax Act.
  • Court's Interpretation: The tribunal considered whether the search was lawful and if the subsequent proceedings were valid.
  • Evidence and Findings: The appellant argued that the search was unlawful, but the tribunal focused on the procedural adherence in the assessment process.
  • Application of Law: The tribunal examined the procedural correctness of the assessments rather than the legality of the search.
  • Competing Arguments: The appellant claimed the search was invalid, while the respondent maintained the procedural correctness of the assessments.
  • Conclusion: The tribunal did not find sufficient grounds to invalidate the CIT(A) order based on the alleged unlawful search.

Issue 2: Violation of Statutory Conditions under Section 153A

  • Legal Framework: Section 153A outlines conditions for assessments following a search.
  • Court's Interpretation: The tribunal assessed compliance with statutory conditions.
  • Evidence and Findings: The appellant argued procedural violations, but the tribunal focused on adherence to statutory requirements.
  • Application of Law: The tribunal examined the statutory compliance in the assessment process.
  • Competing Arguments: The appellant highlighted procedural lapses, while the respondent defended the assessments' validity.
  • Conclusion: The tribunal upheld the assessments, finding no significant procedural violations.

Issue 3: Additions Without Incriminating Material

  • Legal Framework: Additions under section 153A require incriminating material found during the search.
  • Court's Interpretation: The tribunal scrutinized the basis for additions.
  • Evidence and Findings: The tribunal noted the lack of incriminating material justifying the additions.
  • Application of Law: The tribunal applied precedents requiring incriminating evidence for additions.
  • Competing Arguments: The appellant contested the additions, and the respondent relied on procedural grounds.
  • Conclusion: The tribunal found the additions unjustified due to the absence of incriminating material.

Issue 4: Violation of Section 153D

  • Legal Framework: Section 153D mandates supervisory approval for assessments under section 153A.
  • Court's Interpretation: The tribunal evaluated compliance with supervisory approval requirements.
  • Evidence and Findings: The tribunal reviewed the procedural adherence to Section 153D.
  • Application of Law: The tribunal focused on the procedural aspect of supervisory approval.
  • Competing Arguments: The appellant cited lack of approval, while the respondent defended procedural compliance.
  • Conclusion: The tribunal did not find significant procedural lapses under Section 153D.

Issue 5: Justification of Gross Profit Additions

  • Legal Framework: Additions require defects in books of accounts or evidence of non-genuine transactions.
  • Court's Interpretation: The tribunal examined the rationale for gross profit additions.
  • Evidence and Findings: The tribunal noted the lack of defects in the books of accounts.
  • Application of Law: The tribunal applied principles requiring substantive evidence for such additions.
  • Competing Arguments: The appellant contested the additions, and the respondent cited procedural grounds.
  • Conclusion: The tribunal found the gross profit additions unjustified due to lack of evidence.

Issue 6: Double Taxation of Income

  • Legal Framework: Double taxation occurs when the same income is taxed twice.
  • Court's Interpretation: The tribunal assessed the potential for double taxation.
  • Evidence and Findings: The tribunal considered the appellant's claim of declared profits.
  • Application of Law: The tribunal evaluated the tax treatment of declared profits.
  • Competing Arguments: The appellant argued for double taxation, while the respondent focused on procedural grounds.
  • Conclusion: The tribunal acknowledged the potential for double taxation and found the additions unjustified.

Issue 7: Reliance on Third-Party Statements

  • Legal Framework: Reliance on third-party statements requires an opportunity for cross-examination.
  • Court's Interpretation: The tribunal evaluated the procedural fairness of relying on third-party statements.
  • Evidence and Findings: The tribunal noted the lack of cross-examination opportunity.
  • Application of Law: The tribunal applied principles of procedural fairness.
  • Competing Arguments: The appellant contested the procedural fairness, and the respondent relied on procedural grounds.
  • Conclusion: The tribunal found the reliance on third-party statements unjustified due to lack of cross-examination.

Issue 8: Assessment Based on Conjectures

  • Legal Framework: Assessments require substantive evidence, not conjectures.
  • Court's Interpretation: The tribunal scrutinized the basis for the assessment.
  • Evidence and Findings: The tribunal noted the lack of adverse material supporting the assessment.
  • Application of Law: The tribunal applied principles requiring substantive evidence for assessments.
  • Competing Arguments: The appellant contested the assessment's basis, and the respondent relied on procedural grounds.
  • Conclusion: The tribunal found the assessment unjustified due to lack of substantive evidence.

3. SIGNIFICANT HOLDINGS

  • Verbatim Quotes: "The AO has made addition of Gross Profit which has already been considered by the assessee for computing its tax liability."
  • Core Principles Established: Additions under section 153A require incriminating material; procedural fairness mandates cross-examination of third-party statements.
  • Final Determinations: The tribunal set aside the additions made by the AO, finding them unjustified due to procedural lapses and lack of substantive evidence.

 

 

 

 

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