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2025 (5) TMI 959 - AT - Income TaxReassessment proceedings - Transactions in NSEL Exchange as Client Code Modification Transaction for shifting of profit/ loss added to the income of the assessee - HELD THAT - Where in the course of regular business practice there could be Client Code Modification on sale or purchase of securities by the broker for the purpose of rectifying an error while punching the orders and merely on the basis of the said information without any cogent link of the assessee with its broker cannot be a reason to reopen and it is only mere suspicion or doubt that income has escaped assessment. Thus we hold that there is no infirmity in the order of the ld. CIT(A) in holding that the reassessment is invalid and bad in law. Appeal filed by the revenue is hereby dismissed.
The primary issue before the Appellate Tribunal was whether the reassessment proceedings initiated against the assessee on the basis of Client Code Modification (CCM) transactions in the National Spot Exchange Limited (NSEL) platform were valid and legally sustainable.
Specifically, the core legal questions considered were:
These issues were interlinked and revolved around the legality and validity of reopening assessments on the basis of CCM transactions alleged to be accommodation entries or bogus trades designed to shift profits or losses. Issue-Wise Detailed Analysis 1. Validity of Reassessment Proceedings Based on Client Code Modification Transactions Legal Framework and Precedents: Section 147 of the Income Tax Act permits reopening of an assessment if the Assessing Officer has reason to believe that income chargeable to tax has escaped assessment. The threshold is a "reason to believe" based on tangible material, not mere suspicion or conjecture. The jurisdictional High Court in Coronation Agro Industries Ltd. held that information about CCM alone, without a direct link to escapement of income, does not justify reopening. The Court emphasized that the AO must have a reasonable belief, not mere suspicion. Court's Interpretation and Reasoning: The Tribunal noted that the reassessment was triggered by information from the Principal Director of Income Tax (Investigation) and the Serious Fraud Investigation Office (SFIO) regarding misuse of CCM by brokers to create artificial profits and losses. However, the AO did not have concrete evidence directly implicating the assessee in wrongdoing beyond the fact of CCM transactions. The Tribunal relied on the jurisdictional High Court's ruling in Coronation Agro Industries Ltd. which held that mere information of CCM is insufficient to form a reason to believe that income has escaped assessment. The Tribunal also referred to a subsequent jurisdictional High Court decision in Pat Commodity Services Pvt. Ltd. which reinforced this principle. Key Evidence and Findings: The AO observed that the assessee's client code was used in numerous transactions that were subsequently modified, some involving large sums. The SFIO investigation and SEBI's observations on the misuse of CCM for accommodation entries were noted. However, the assessee contended it was unaware of the broker's modifications and had recorded transactions based on bills and payments from the broker. The AO's reliance was mainly on the information received and not on any direct evidence linking the assessee to a scheme to evade tax. Application of Law to Facts: The Tribunal held that the AO's belief was based on suspicion arising from the CCM information, which is a common business practice permitted by stock exchanges to rectify genuine errors. The absence of any cogent link or material showing that the assessee knowingly participated in tax evasion meant the AO lacked a valid reason to reopen the assessment. The Tribunal emphasized that reopening cannot be justified on mere surmises or suspicion. Treatment of Competing Arguments: The Revenue relied on a decision of the Punjab and Haryana High Court in Rakesh Gupta, which upheld reopening on similar facts. However, the Tribunal held that the jurisdictional High Court's decisions, particularly Coronation Agro Industries Ltd. and Pat Commodity Services Pvt. Ltd., were binding and took precedence. The Tribunal rejected the Revenue's argument that the jurisdictional High Court decision was interim relief and not final, noting subsequent affirmations of the principle. Conclusion: The reassessment proceedings initiated solely on the basis of CCM information without concrete evidence were invalid and bad in law. The Tribunal upheld the deletion of the addition and held the reassessment notice to be without jurisdiction. 2. Deletion of Commission on Accommodation Entry Legal Framework and Precedents: The AO had added a commission of 5% on the CCM transactions, treating it as income from accommodation entries. The validity of this addition depends on the validity of the reassessment itself and whether the commission was rightly attributable to the assessee. Court's Interpretation and Reasoning: Since the Tribunal quashed the reassessment proceedings on jurisdictional grounds, it did not find it necessary to delve into the merits of the commission addition. The deletion of the commission addition followed logically from the invalidity of the reassessment. Conclusion: The deletion of the commission addition was upheld as the reassessment itself was invalid. 3. Reliance on Interim Relief Granted by Jurisdictional High Court Legal Framework and Precedents: The Revenue contended that the CIT(A) erred in relying on the jurisdictional High Court's interim relief in Coronation Agro Industries Ltd. The assessee argued that the decision was final on the question of jurisdiction and binding. Court's Interpretation and Reasoning: The Tribunal observed that the jurisdictional High Court had categorically held that the notice for reassessment lacked jurisdiction due to absence of reason to believe. Subsequent decisions by the same High Court reinforced this view. Hence, the reliance on the jurisdictional High Court decision was appropriate and binding. Conclusion: The Tribunal did not find any error in the CIT(A)'s reliance on the jurisdictional High Court decision to quash the reassessment. Significant Holdings "The reasons do not indicate the basis for the Assessing Officer to come to reasonable belief that there has been any escapement of income on the ground that the modifications done in the client code was not on account of a genuine error, originally occurred while punching the trade. The material available is that there is a client code modification done by the Assessee's broker but there is no link from there to conclude that it was done to escape assessment of a part of its income. Prima facie, this appears to be a case of reason to suspect and not reason to believe that income chargeable to tax has escaped assessment." "In the above view, prima facie, we are of the view that the impugned notice is without jurisdiction as it lacks reason to believe that income chargeable to tax has escaped assessment." "Even if the Revenue's theory of the assessee having enabled the clients to claim contrived losses, the Revenue had to bring on record some evidence of the income earned by the assessee in the process, be it in the nature of commission or otherwise. In the present case, the Assessing Officer has added the entire amount of doubtful transactions by way of assessee's additional income, which is wholly impermissible." Core principles established include:
Final determination was that the reassessment proceedings and additions based on CCM transactions were invalid and bad in law, and the appeal filed by the Revenue was dismissed accordingly.
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