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2016 (2) TMI 340 - AT - Income Tax


Issues Involved:
1. Discharge of onus by the Assessee regarding identity, creditworthiness, and genuineness of corporate entities.
2. Appreciation of adverse findings by the Assessing Officer (AO).
3. Deletion of addition made under Section 68 for unexplained credits related to share application money.
4. Deletion of addition made under Section 68 for unexplained credits related to unsecured loans.
5. Deletion of addition made under Section 68 for unexplained earnest money received from two parties.
6. Deletion of addition made under Section 68 for unexplained cash deposit in the bank account.
7. Deletion of addition made under Section 50C(1) of the Act.

Detailed Analysis:

Issue 1: Discharge of Onus by the Assessee
- The Assessee provided documents such as the Certificate of Incorporation, Company Master Detail, ITR Acknowledgements, Bank Statements, Confirmations, and Balance Sheets to prove the identity, creditworthiness, and genuineness of the corporate entities.
- The AO disregarded these evidences, citing reasons like non-existence of companies, sham bank transactions, and non-appearance of principal officers/directors.
- The CIT(A) found that the Assessee had discharged its onus by providing substantial documentation and that the AO failed to conduct further verification or collect independent evidence.

Issue 2: Appreciation of Adverse Findings by the AO
- The AO's adverse findings were based on the assumption that the corporate entities were bogus and engaged in accommodation entries without substantial evidence.
- The CIT(A) criticized the AO for not making further inquiries or collecting independent evidence to substantiate the claims.

Issue 3: Deletion of Addition under Section 68 for Share Application Money
- The CIT(A) held that the Assessee had provided sufficient evidence to prove the identity and creditworthiness of the shareholders.
- The AO failed to bring any material evidence to prove that the share application money was the Assessee's own undisclosed income.
- The CIT(A) relied on various judicial pronouncements, including those from the Hon'ble Delhi High Court, which stated that once the identity of shareholders is established, the burden shifts to the AO to discredit the documents produced by the Assessee.
- The Tribunal upheld the CIT(A)'s decision, noting that the Assessee had properly explained the share application money.

Issue 4: Deletion of Addition under Section 68 for Unsecured Loans
- The Assessee provided documentation such as certificates of incorporation, ITRs, balance sheets, and confirmations for the three corporate entities from whom unsecured loans were received.
- The AO did not issue summons or conduct further inquiries to verify the claims.
- The CIT(A) found that the Assessee had discharged its onus and that the AO's failure to conduct further verification meant the addition could not be justified.
- The Tribunal upheld the CIT(A)'s decision, noting that the AO had not collected any evidence to prove that the unsecured loans were the Assessee's own money.

Issue 5: Deletion of Addition for Unexplained Earnest Money
- The Assessee provided confirmation from the party and explained that the property was sold in the subsequent year, with the profit reflected in the accounts.
- The CIT(A) found that the addition was unjustified as the property sale was duly recorded.
- The Tribunal upheld the CIT(A)'s decision, noting that the AO was not justified in making the addition.

Issue 6: Deletion of Addition for Unexplained Cash Deposit
- The Assessee explained that the cash deposit was from the sale of a property, which was part of the stock-in-trade.
- The CIT(A) verified the property sale details and found the addition unjustified.
- The Tribunal upheld the CIT(A)'s decision, noting that the AO had accepted the sales declared by the Assessee.

Issue 7: Deletion of Addition under Section 50C(1)
- The CIT(A) noted that the Assessee was engaged in the real estate business, and the properties were stock-in-trade, not capital assets.
- The provisions of Section 50C(1) apply only to capital assets, not stock-in-trade.
- The Tribunal upheld the CIT(A)'s decision, agreeing that the addition under Section 50C(1) was not applicable.

Conclusion:
The Tribunal dismissed the appeal of the Revenue, upholding the CIT(A)'s order in favor of the Assessee on all grounds. The Assessee successfully demonstrated the identity, creditworthiness, and genuineness of the transactions, and the AO failed to provide substantial evidence to the contrary.

 

 

 

 

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