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2014 (8) TMI 1157

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..... assessment in the life of the assessee company. The amounts were deposited by these 5 corporates per account payee cheques. These parties were not shareholders of the assessee company at the time when the case was reopened u/s 147 or when the summons were issued to them. The assessee has filed before the A.O. copies of share application forms duly signed along with the complete addresses of th .....

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..... None ORDER This appeal under section 260A of the Income Tax Act 1961 has been preferred by the appellant/revenue against the order dated 11th May, 2004 passed by the Income Tax Appellate Tribunal, A Bench, Calcutta in ITA No.2067/KOL/2003 for the assessment year 1995-96 on the following questions : 1. Whether on the facts and circumstances of the case, the Tribunal was right in del .....

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..... identity of the 5 parties investing in the share capital is not in doubt. They are body corporates and their complete addressees are on record. This is the very first assessment in the life of the assessee company. The amounts were deposited by these 5 corporates per account payee cheques. These parties were not shareholders of the assessee company at the time when the case was reopened under sec .....

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