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2024 (9) TMI 724 - AT - Income Tax


Issues involved:
1. Addition in respect of sundry creditors
2. Levy of interest under section 234B and 234C

Detailed Analysis:
1. Addition in respect of sundry creditors:
The appeal was filed against the order of the CIT(Appeals) regarding the addition of amounts in the names of sundry creditors due to non-confirmation of balances independently. The AO added Rs. 60,529, Rs. 90,79,528, and Rs. 29,60,099 to the total income based on discrepancies in creditor confirmations. The assessee failed to produce the creditors for examination, leading to the additions. The FAA deleted the addition towards non-verification of debtors but confirmed the addition towards creditors. The appellant argued that the creditors' confirmations were filed in the remand proceedings, and the AO did not doubt their genuineness. The appellant cited various judgments to support their case. The DR contended that the assessee failed to substantiate the entries in the books of account with evidence. The ITAT upheld the addition of Rs. 60,529 due to lack of evidence supporting the entries. However, regarding the creditors who did not respond to notices, the ITAT noted that confirmations were filed with the AO, and the genuineness of creditors was not verified due to the absence of PAN details. The ITAT found that the authorities did not take necessary steps to verify the balances and deleted the additions of Rs. 90,79,528 and Rs. 29,60,099. Ground Nos. 2.1 to 2.3 were partly allowed.

2. Levy of interest under section 234B and 234C:
The AO and CIT(A) confirmed the levy of interest under sections 234B and 234C. However, the judgment did not provide detailed analysis or findings regarding this issue.

In conclusion, the ITAT partly allowed the appeal of the assessee concerning the addition in respect of sundry creditors. The judgment highlighted the importance of providing supporting evidence for entries in books of account and emphasized the need for authorities to verify creditor balances thoroughly.

 

 

 

 

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