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2024 (7) TMI 1368 - AT - Income Tax


Issues Involved:
1. Validity of the assessment order under section 153C of the IT Act.
2. Addition of Rs. 3,96,05,000/- to the total income of the assessee on the ground of receiving unaccounted money from the sale of flats.

Issue-Wise Detailed Analysis:

1. Validity of the Assessment Order:

Arguments by Assessee:
- The assessment order dated 27.12.2019 was issued without a Document Identification Number (DIN), violating CBDT Circular No. 19/2019.
- The AO obtained a common approval from the Additional Commissioner of Income Tax under section 153D for various assessment years, which should have been taken separately.
- The satisfaction note recorded by the AO for initiating proceedings under section 153C was improper and based on generalization.
- The assessee was not provided a proper opportunity for cross-examination of Shri Upendra Kumar Soni, violating principles of natural justice.

Arguments by Revenue:
- The DIN was generated and communicated to the assessee via email on 28.12.2019.
- The approval by the Additional Commissioner was given after due application of mind and was mentioned in the assessment order.
- The satisfaction note was properly recorded, and the addition was based on documents found during the search at Shri Upendra Kumar Soni's premises.

Tribunal's Findings:
- The assessment order does not contain the DIN, but it was duly generated and communicated to the assessee, making the assessment valid.
- The approval under section 153D was properly obtained and mentioned in the assessment order.
- The satisfaction note was found to be reasonable, and the nexus of the documents with the appellant was established.
- The issue of cross-examination and other arguments related to addition were addressed under the second ground of appeal.

2. Addition of Rs. 3,96,05,000/-:

Arguments by Assessee:
- Relied on the decision of ITAT Jaipur Bench in M/s Moti Developers, arguing that similar facts and issues were involved.
- Contended that the document found from Shri Upendra Kumar Soni's possession did not establish any nexus with the appellant.
- Pointed out discrepancies in the excel sheets used by the AO for making the addition.
- Argued that the statement of Shri Upendra Kumar Soni did not mention any cash passed to the appellant.
- Asserted that the addition was made without corroborative evidence and was based on surmises and conjectures.
- Highlighted that the GST department had rejected the demand of short payment of GST on the alleged cash receipts.

Arguments by Revenue:
- The addition was based on documents found and seized during the search at Shri Upendra Kumar Soni's premises, which clearly established that on-money in cash was taken against sales of flats.

Tribunal's Findings:
- The document found from Shri Upendra Kumar Soni's possession did not mention the name of the assessee, the date or year of receipt, or unit-wise bifurcation of amounts.
- The excel sheets used by the AO contained serious discrepancies and inconsistencies, making them unreliable.
- The AO did not provide complete statements of Shri Upendra Kumar Soni to the assessee, and no effective efforts were made to enforce his attendance for cross-examination.
- The satisfaction note prepared by the AO was not reasonable and lacked corroborative material.
- The Tribunal cited the decision of ITAT Jaipur Bench in M/s Moti Developers and other relevant case laws, concluding that the addition was not sustainable.

Conclusion:
The Tribunal set aside the order passed by CIT(A) and directed the AO to delete the entire addition of Rs. 3,96,05,000/-. The appeal of the assessee was partly allowed.

 

 

 

 

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