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2021 (10) TMI 671 - AT - Income Tax


Issues Involved:
1. Legality of invoking Section 263 of the Income Tax Act, 1961.
2. Adequacy of the Assessing Officer's (AO) inquiry into the source of cash claimed as agricultural income.
3. Validity of the assessment order passed with the approval of the Additional Commissioner under Section 153D.
4. The effect of the search and seizure action on the assessment order.

Issue-wise Detailed Analysis:

1. Legality of Invoking Section 263 of the Income Tax Act, 1961:
The Principal Commissioner of Income Tax (PCIT) invoked Section 263, arguing that the AO's order was erroneous and prejudicial to the revenue's interest. The PCIT noted that the AO accepted the assessee's claim of the cash being agricultural income without proper inquiry. The Tribunal upheld the PCIT's invocation of Section 263, emphasizing that the AO failed to conduct necessary inquiries to verify the genuineness of the agricultural income claim. The Tribunal cited the Delhi High Court's decision in Gee Vee Enterprises, which distinguished between "inadequate inquiry" and "lack of inquiry," stating that the latter justifies the invocation of Section 263.

2. Adequacy of the AO's Inquiry:
The Tribunal found that the AO did not conduct a thorough inquiry into the source of the cash. The AO's acceptance of the assessee's claim was based on minimal verification, such as recording the statement of the landowner and examining lease documents. The Tribunal noted the absence of substantial evidence, such as the details of agricultural activities, expenses, and income verification. The Tribunal highlighted that the assessee failed to provide documents demonstrating that the AO had made pertinent inquiries, thus supporting the PCIT's view that the AO's order lacked proper scrutiny.

3. Validity of the Assessment Order Passed with the Approval of the Additional Commissioner under Section 153D:
The assessee argued that the assessment order, having been approved under Section 153D, could not be revised under Section 263. However, the Tribunal dismissed this argument, referencing the Punjab & Haryana High Court's decision in Osho Forging Ltd., which held that the approval under Section 153D does not preclude the PCIT from exercising revisionary powers under Section 263. The Tribunal emphasized that the supervisory jurisdiction of the PCIT under Section 263 remains intact, even if the assessment order was approved by a lower authority.

4. Effect of the Search and Seizure Action on the Assessment Order:
The Tribunal noted that the search and seizure action led to the discovery of cash, which the assessee claimed as agricultural income. However, the original return of the assessee's father did not disclose any agricultural income, and the return was subsequently revised. The Tribunal found that the AO did not adequately investigate the claim, and the assessee failed to provide evidence of agricultural activities or income in previous years. The Tribunal concluded that the AO's order was erroneous due to the lack of proper inquiry, justifying the PCIT's revision under Section 263.

Conclusion:
The Tribunal upheld the PCIT's invocation of Section 263, emphasizing the AO's failure to conduct a thorough inquiry into the source of the cash claimed as agricultural income. The Tribunal dismissed the argument that the approval under Section 153D precluded the PCIT's revisionary powers, reaffirming the PCIT's supervisory jurisdiction. The Tribunal's decision underscores the necessity for AOs to conduct comprehensive inquiries to verify claims made by assessees, particularly in cases involving significant cash transactions.

 

 

 

 

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