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2021 (9) TMI 525 - AT - Income Tax


Issues Involved:
1. Deletion of addition made u/s 68 on account of unexplained share capital and premium for AY 2011-12.
2. Deletion of addition made u/s 68 on account of unexplained share capital and premium for AY 2012-13.

Issue-Wise Detailed Analysis:

1. Deletion of Addition Made u/s 68 on Account of Unexplained Share Capital and Premium for AY 2011-12:

The assessee, engaged in various businesses, including share trading and hotel industry, filed its return of income for AY 2011-12, declaring an income of ?53,21,14,645/-. A search operation conducted by the Income Tax Department led to the initiation of assessment proceedings u/s 153A. The Assessing Officer (AO) noticed a significant increase in the assessee's subscribed share capital and premium, totaling ?108,29,00,000/-, raised from various parties. The AO questioned the genuineness of these transactions, particularly focusing on three companies: M/s. Topgrain Mercantile Pvt. Ltd., M/s. Godsend Bio Tech Ltd., and M/s. TVH Trading Co. Pvt. Ltd.

The AO issued notices u/s 133(6) to these companies but claimed no timely response. The assessee provided extensive documentation, including share application forms, board resolutions, PAN cards, audit reports, bank statements, and income tax returns of the investing companies. Despite this, the AO held the transactions as non-genuine, citing reasons such as the lack of substantial investment increase in the investing companies, the non-existence of M/s. Bridge & Building Construction Co. Pvt. Ltd., and the complex trail of funds.

The CIT(A) considered the assessee's detailed submissions and the extensive documentation provided, concluding that the assessee had discharged its onus u/s 68. The CIT(A) noted that the AO's reliance on the investigation wing's report without confronting the assessee was against natural justice principles. The CIT(A) found that the AO's observations, including the alleged non-existence of M/s. Bridge & Building Construction Co. Pvt. Ltd., were not substantiated with concrete evidence.

The Tribunal, after reviewing the rival submissions and the material on record, upheld the CIT(A)'s decision. It was noted that the assessee had provided sufficient evidence to establish the identity, creditworthiness, and genuineness of the transactions. The Tribunal found that the AO had not brought any adverse material to disprove the assessee's claims. The Tribunal emphasized that the AO's technical and whimsical reasons for disbelieving the transactions were not justified. Consequently, the Tribunal confirmed the deletion of the addition made u/s 68 for AY 2011-12.

2. Deletion of Addition Made u/s 68 on Account of Unexplained Share Capital and Premium for AY 2012-13:

For AY 2012-13, the assessee received share application money of ?23 crores, with ?4.50 crores from M/s. TVH Trading Company and ?18.50 crores from Vishaka Tech Pvt. Ltd. The shares could not be allotted, and the share application money was treated as an advance against the property. The AO, relying on the findings of the previous year, questioned the genuineness of these transactions.

The assessee provided confirmations from the parties and detailed documentation similar to the previous year. The Director of M/s. TVH Trading Company Pvt. Ltd. personally appeared before the AO and confirmed the transactions for both AY 2011-12 and AY 2012-13. The CIT(A) and the Tribunal, applying the findings from AY 2011-12, concluded that the assessee had discharged its onus u/s 68. The Tribunal noted that the AO had not conducted any further investigation to disprove the assessee's claims.

The Tribunal confirmed the CIT(A)'s decision to delete the addition made u/s 68 for AY 2012-13, emphasizing that the assessee had provided sufficient evidence to establish the identity, creditworthiness, and genuineness of the transactions. The appeals for both AY 2011-12 and AY 2012-13 were dismissed, upholding the deletion of the additions made by the AO.

 

 

 

 

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