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2024 (7) TMI 655 - AT - Income Tax


Issues Involved:
1. Disallowance of provisions for routine expenses.
2. Addition of unsecured loan under Section 68.
3. Addition of unexplained cash credit under Section 69A.

Detailed Analysis:

1. Disallowance of Provisions for Routine Expenses:
The assessee challenged the addition of Rs. 83,000/- on account of provision for expenditure as confirmed by CIT(A)/NFAC. The Assessing Officer initially disallowed Rs. 15,92,941/- due to the assessee's failure to furnish full particulars. CIT(A)/NFAC reduced this disallowance to Rs. 83,000/- without providing a detailed rationale. The Tribunal found that the CIT(A)/NFAC merely extracted the assessee's submissions and confirmed the addition without any cogent reason. Therefore, the matter was remitted back to the CIT(A)/NFAC to pass a reasoned order after considering the assessee's submissions and evidence. Ground of appeal No.1 was partly allowed.

2. Addition of Unsecured Loan Under Section 68:
The assessee contested the addition of Rs. 50,00,000/- on account of unsecured loans. The Assessing Officer had added Rs. 54,00,000/- due to the assessee's failure to establish the identity, creditworthiness, and genuineness of the loan creditors. CIT(A)/NFAC deleted Rs. 4,00,000/- but confirmed the addition of Rs. 50,00,000/- from Mr. Janardhan Anant Patil, citing insufficient evidence of the lender's creditworthiness. The Tribunal noted that the CIT(A)/NFAC relied heavily on the remand report and lacked independent application of mind. The matter was remitted back to the CIT(A)/NFAC for a detailed examination of the lender's bank statements and other relevant documents. Grounds of appeal No.2 and 3 were partly allowed.

3. Addition of Unexplained Cash Credit Under Section 69A:
The Revenue challenged the deletion of Rs. 3,68,76,096/- on account of cash deposits with HDFC Bank Ltd. The Assessing Officer had made the addition due to the assessee's failure to explain the source of cash deposits. CIT(A)/NFAC deleted the addition based on a remand report without discussing the factual evidence. The Tribunal found that CIT(A)/NFAC failed to provide a reasoned order and did not adequately discuss the evidence or the remand report. Citing the Supreme Court's guidelines on the necessity of reasoned orders, the Tribunal remitted the matter back to CIT(A)/NFAC for a detailed examination of each cash deposit. Grounds of appeal of the Revenue were partly allowed.

Conclusion:
Both the assessee's and the Revenue's appeals were partly allowed. The Tribunal remitted the matters back to the CIT(A)/NFAC for passing reasoned orders after a detailed examination of the evidence and submissions. The judgment emphasized the necessity of reasoned orders to meet the principles of natural justice and judicial accountability.

 

 

 

 

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