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2021 (8) TMI 110 - AT - Income TaxAddition u/s 68 - purchase of shares of penny stock - HELD THAT:- Purchase as well as sale transactions have taken place on stock exchange through stock-broker. There is movement of shares in assessee’s demat statement. The transactions have taken place through banking channels and duly supported by broker’s contract notes, demat statements, ledger statements as well as bank statements. The assessee is regular investor in shares. The assessee has always maintained that the transactions were genuine. As against this, the only adverse material in the armory of Ld. AO is the investigation findings - assessee has not been named in any of the statement. The assessee has denied having known Shri Nikhil Jain & Shri Bidyoot Sarkar whose statements form the very basis of doubting the assessee’s transactions. The assessee, as rightly pointed out by Ld. CIT(A), had duly discharged the onus to establish the genuineness of the transactions and the onus was on AO to dislodge them. Except for mere allegations, there is no adverse material against the assessee and the additions are based merely on conjectures and surmises. Another aspect is that the provisions of Sec.68, as invoked by Ld. AO, had no applicability to the fact of the case. The invoking of wrong provisions would make the additions unsustainable in the eyes of law - Decided in favour of assessee.
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