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In a case concerning unexplained credit u/s 68, the assessee proved the identity and genuineness of...

In a case concerning unexplained credit u/s 68, the assessee proved the identity and genuineness of share applicants, although their creditworthiness was questioned. The court held that if the assessing officer doubts creditworthiness, verification should be done in the shareholders' hands, not the assessee company's. If shareholders are identified, non-fictitious, and payments made through banking channels, no addition u/s 69 is permissible. The assessee provided ITRs, bank statements, and PAN details, proving shareholders' identity, genuineness, and creditworthiness. Regarding ad hoc expense disallowance for lack of bills/vouchers, the court observed the assessing officer failed to pinpoint specific expenses and deleted the disallowance. ..... .....

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