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2024 (10) TMI 651 - AT - Income Tax


Issues Involved:

1. Addition of Rs. 3,89,21,998/- under Section 41(1) of the Income-tax Act, 1961.
2. Addition of Rs. 15 lakhs as unexplained cash credit under Section 68 of the Income-tax Act, 1961.

Issue-wise Detailed Analysis:

1. Addition under Section 41(1) of the Income-tax Act, 1961:

The primary issue in this appeal was the addition of Rs. 3,89,21,998/- made by the Assessing Officer (AO) under Section 41(1) of the Income-tax Act, 1961. The AO observed sundry creditors amounting to Rs. 4,97,57,755.72 in the assessee's balance sheet, which included amounts payable to Dunar Foods Ltd., Heritage Infracon Pvt. Ltd., Rajan Goyal & Brothers, and Suresh Kumar & Sons. The AO issued notices under Section 133(6) and summons under Section 131, but no responses were received from the creditors. The AO's investigation revealed that the individuals purportedly representing the creditors were, in fact, employees of M/s. Best Foods Ltd., not the creditors themselves. Consequently, the AO concluded that the liabilities were not genuine and treated them as cessation of liability under Section 41(1), leading to the addition of Rs. 3,89,21,998/-.

The assessee contended that the liabilities were genuine, supported by confirmations, PAN details, and income tax returns of the creditors. The assessee also argued that the transactions were accepted in earlier assessment years, and the liabilities were settled in subsequent years. The Tribunal found that the creditors were genuine, as the purchases were accepted in previous assessments and the liabilities were discharged in the next assessment year. The Tribunal relied on the decision of the Hon'ble Jurisdictional High Court in PCIT Vs. New World Synthetics Ltd, which held that liabilities shown in the balance sheet cannot be treated as cessation under Section 41(1). Therefore, the Tribunal allowed the assessee's appeal on this ground.

2. Addition under Section 68 of the Income-tax Act, 1961:

The second issue was the addition of Rs. 15 lakhs as unexplained cash credit under Section 68. The AO noted an unsecured loan from Silver Link Commodities Pvt. Ltd. and demanded proof of identity, genuineness, and creditworthiness. The assessee provided confirmation, PAN, and bank transaction details. However, the lender did not respond to the summons issued under Section 131, leading the AO to treat the loan as unexplained.

The Tribunal observed that the assessee had provided all necessary documents to substantiate the loan, including confirmation and evidence of banking transactions. The Tribunal emphasized that non-response to the summons by the lender does not automatically render the transaction unexplained, citing the Supreme Court's decision in CIT Vs. Orissa Corporation Limited. Consequently, the Tribunal allowed the assessee's appeal on this ground as well.

Conclusion:

The Tribunal allowed the appeal, setting aside the additions made under Sections 41(1) and 68, thereby ruling in favor of the assessee. The order was pronounced in the open court on 10/10/2024.

 

 

 

 

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