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2025 (3) TMI 403 - AT - Income Tax


The issues presented and considered in the judgment are as follows:1. Whether the addition made by the Assessing Officer (AO) under section 69A of the Income Tax Act, 1961 for unexplained money deposited during the demonetization period of Rs. 61,17,000/- should be upheld.2. Whether the disallowance of reimbursement expenditure of Rs. 1,07,24,039/- by the AO should be upheld.Issue-Wise Detailed Analysis:Issue 1: Addition under section 69A for unexplained money deposited during demonetization period- Relevant legal framework and precedents: Section 69A of the Income Tax Act, 1961 allows for additions to income in cases where the taxpayer is unable to explain the source of certain funds.- Court's interpretation and reasoning: The Court noted that the assessee, a logistic company, had withdrawn cash from its bank accounts prior to the demonetization period and had sufficient cash on hand to cover the deposited amount. The AO's skepticism regarding the timing and manner of deposits was deemed unreasonable.- Key evidence and findings: The assessee provided P&L A/c, balance sheet, ledger accounts, income computation statement, bank account details, and cash book to support their explanation.- Application of law to facts: The Court found that the assessee had adequately proven the nature and source of the deposited funds, thus disallowing the addition made by the AO.- Conclusions: The Court upheld the decision of the Learned Commissioner of Income Tax (Appeals) to delete the addition under section 69A, finding no infirmity in the assessee's explanation.Issue 2: Disallowance of reimbursement expenditure- Relevant legal framework and precedents: The AO disallowed reimbursement expenses claimed by the assessee without sufficient explanation.- Court's interpretation and reasoning: The Court found that the assessee had provided ledger extracts and supporting documentation for the reimbursement expenses, which the AO failed to disprove or find fault with.- Key evidence and findings: Ledger extracts detailing the reimbursement follow-up expenses and travel expenses were submitted by the assessee.- Application of law to facts: The Court held that the AO's disallowance based on suspicion and conjecture was unwarranted, especially considering the audited nature of the assessee's accounts and the lack of evidence of any irregularities.- Conclusions: The Court upheld the decision of the Learned Commissioner of Income Tax (Appeals) to delete the disallowed expenses, finding no grounds for interference.Significant Holdings:- The Court emphasized the importance of providing relevant evidence to support claims and disapproved of arbitrary disallowances based on suspicion.- Final determinations on each issue: The Court dismissed the appeal filed by the Revenue, upholding the decisions of the Learned Commissioner of Income Tax (Appeals) in both matters.In conclusion, the Appellate Tribunal in Chennai dismissed the Revenue's appeal, affirming the decisions to delete the additions under section 69A and disallowance of reimbursement expenses. The Tribunal found that the assessee had adequately substantiated their claims and that the AO's actions lacked sufficient basis.

 

 

 

 

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