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Home Case Index All Cases Income Tax Income Tax + AT Income Tax - 2025 (7) TMI AT This

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2025 (7) TMI 1164 - AT - Income Tax


ISSUES:

    Validity of reopening assessment under section 147 of the Income-tax Act, 1961.Whether large cash deposits in the assessee's bank account with a Multi-State Urban Co-operative Credit Society constitute unexplained cash credits under sections 68 and 69A of the Act.Whether the assessee satisfactorily explained the nature, source, and genuineness of deposits claimed as business receipts, inter-bank transfers, cash sales, loans from various parties, and redeposits of cash withdrawals.Whether the Assessing Officer's additions under sections 68/69A were justified in light of the evidence and explanations furnished by the assessee.Whether the Commissioner of Income Tax (Appeals) erred in deleting substantial portions of additions without independent verification or remand to the Assessing Officer.Whether penalty proceedings under section 271(1)(c) for furnishing inaccurate particulars are justified.

RULINGS / HOLDINGS:

    The reopening of assessment under section 147 was held valid as the Assessing Officer had credible information and formed a belief that income had escaped assessment, with due compliance of procedural safeguards including issuance of notices and opportunity of hearing.The entire deposits in the assessee's bank account with the credit society could not be treated as unexplained cash credits wholesale; a detailed bifurcation and explanation of components was necessary.Business receipts (cheque sales) and inter-bank transfers were accepted as satisfactorily explained and genuine, subject to verification; additions relating to these components were deleted by the CIT(A).The explanation regarding cash sales and redeposits of cash withdrawals was not conclusively established due to lack of corroborative evidence such as VAT returns, stock movement records, and third-party confirmations; the CIT(A)'s deletion of additions on this component was set aside and remanded for fresh verification.The claim of temporary loans from various parties was not adequately verified as the Assessing Officer did not conduct independent inquiries into creditworthiness or genuineness; the CIT(A)'s deletion of additions on this ground was set aside and remanded for detailed examination.The residual unexplained cash deposits confirmed by the CIT(A) were not accepted outright nor rejected; the matter was restored to the Assessing Officer for detailed date-wise cash flow verification and nexus examination.The CIT(A)'s reliance on judicial precedents was found distinguishable on facts, as those cases involved verified confirmations and no allegations of circular or accommodation entries.The appeals were partly allowed with directions for the Assessing Officer to verify the genuineness of various components of deposits and complete reassessment accordingly.

RATIONALE:

    The legal framework applied includes sections 68, 69A, 147, 148, 143(3), and 271(1)(c) of the Income-tax Act, 1961, and judicial precedents interpreting the burden of proof on the assessee to establish identity, genuineness, and creditworthiness of creditors or sources of cash credits.The Court emphasized that reopening under section 147 requires credible information and proper satisfaction, which was found present in this case.The Assessing Officer's approach of treating entire deposits as unexplained without itemized verification was improper; however, the assessee's explanations introduced at the appellate stage required independent verification, including third-party confirmations, stock movement, VAT returns, and cash flow nexus.The Court recognized the complexity of layered cash transactions and potential accommodation entries, necessitating detailed scrutiny beyond documentary submissions.The CIT(A)'s deletion of substantial additions without remand or verification was a procedural lapse, as the Assessing Officer must be given opportunity to verify the newly submitted evidence.The decision reflects a doctrinal insistence on rigorous verification in cases involving large cash deposits and potential accommodation entries, balancing the assessee's burden of proof with procedural fairness.

 

 

 

 

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