Case Laws
Acts
Notifications
Circulars
Classification
Forms
Manuals
Articles
News
D. Forum
Highlights
Notes
🚨 Important Update for Our Users
We are transitioning to our new and improved portal - www.taxtmi.com - for a better experience.
⚠️ This portal will be discontinued on 31-07-2025
If you encounter any issues or problems while using the new portal,
please
let us know via our feedback form
so we can address them promptly.
Home
2024 (11) TMI 1300 - AT - Income TaxAddition u/s 68 - appellant has proved the identity creditworthiness of the creditor and genuineness of the transaction - onus to prove - CIT(A) deleted addition - HELD THAT - The primary onus has been duly discharged by filing relevant confirmation ITR Bank statements etc which all have been glossed over and ignored by the AO.In such circumstances the assessee could do nothing any further and as such had discharged the burden. It has been rightly pointed out that although the AO issued notice u/s 133(6) of the Act and obtained all relevant documents from SDPL he without making any further enquiry or investigation summarily treated it as paper company. Once the assessee has proved the identity of his creditors the genuineness of the transactions which he had with his creditors and the creditworthiness of his creditors vis-a-vis the transactions which he had with the creditors his burden stands discharged and the burden then shifts to the revenue to show that the amount in ques-tion actually belonged to or was owned by the assessee himself. A delicate balance must be maintained while walking the tightrope of section 68.The burden of proof cannot be discharged to the hilt by the assessee. If the Assessing Officer harbors any doubt about the legitimacy of the loan he is empowered to carry out investigations thoroughly. But if he is unable to unearth any discrepancy he cannot obdurately adhere to his suspicion and treat the loan as unexplained. Thus we hold that the AO was not justified in invoking provisions of section 68 - Decided in favour of assessee.
|