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2022 (7) TMI 892 - AT - Income Tax


Issues Involved:

1. Addition of share capital as unexplained credits under Section 68 of the Income Tax Act.
2. Addition of short-term borrowings and trade payables as unexplained credits under Section 68 of the Income Tax Act.
3. Evaluation of the identity, creditworthiness, and genuineness of the transactions related to share applicants and creditors.

Issue-wise Detailed Analysis:

1. Addition of Share Capital as Unexplained Credits:

The assessee, a private limited company, raised funds through share capital and unsecured loans. During a survey under Section 133A, it was found that the assessee did not declare certain amounts in its original returns. The Assessing Officer (AO) added these amounts as unexplained credits under Section 68, doubting the creditworthiness of the share applicants and the genuineness of the transactions. The AO noted discrepancies in share application forms, non-compliance with the requirement to receive share application money through banking channels, and the inability of the assessee to produce books of accounts or valid share applications. The AO also highlighted the improbability of the share applicants accumulating the necessary funds given their declared incomes and financial activities.

2. Addition of Short-term Borrowings and Trade Payables:

The AO added amounts under short-term borrowings and trade payables as unexplained credits due to insufficient evidence. The AO found discrepancies in confirmations from creditors and noted that some payments were made to different persons than those listed as creditors. The AO also pointed out that the assessee failed to explain the reasons for such payments and did not provide sufficient evidence to substantiate the claims.

3. Evaluation of Identity, Creditworthiness, and Genuineness:

The CIT(A) accepted additional evidence submitted by the assessee, including affidavits, confirmation letters, and income tax returns. However, the AO, in his remand reports, reiterated doubts about the creditworthiness of the share applicants and the genuineness of the transactions. The AO examined the financial capacity of several share applicants and found significant discrepancies between their declared incomes and the amounts invested. The AO also noted that many share applicants were related to the assessee, and the investments appeared to be an attempt to camouflage the real investors. The AO's findings were detailed and included specific instances where the declared sources of funds were not substantiated by evidence.

Conclusion:

The appellate tribunal found that the CIT(A)'s acceptance of the assessee's evidence was not satisfactory and did not inspire confidence. The tribunal upheld the AO's findings, noting the lack of clinching evidence to establish the identity, creditworthiness, and genuineness of the share applicants and the transactions. The tribunal concluded that the assessee failed to discharge its primary onus under Section 68 and set aside the CIT(A)'s orders, restoring the AO's additions.

Judgment:

The appeals of the Revenue were allowed, and the cross-objections preferred by the assessee were dismissed. The tribunal upheld the AO's additions of share capital, short-term borrowings, and trade payables as unexplained credits under Section 68 of the Income Tax Act.

 

 

 

 

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