Income Tax Appellate Tribunal - Kolkata
M/S Gda Cement Industry Pvt. Ltd., ... vs Acit, Cir-3, Asansol, Asansol on 19 December, 2018
IN THE INCOME TAX APPELLATE TRIBUNAL "B", BENCH KOLKATA
BEFORE SHRI A.T. VARKEY, JM &DR. A.L.SAINI, AM
आयकरअपीलसं./ITA No.1465/Kol/2014
(िनधा रणवष / Assessment Year: 2010-11)
M/s GDA Cement Industry Vs. ACIT, Cir-3, Asansol
Pvt. Ltd.
Chowdhury Market, S.N. Sarkar Road,
MunsiffDanga, Purulia - 723101.
थायीले खासं ./जीआइआरसं ./PAN/GIR No. :AADCG 4934 F
(Appellant) .. (Respondent)
Appellant by :Shri U. Dasgupta, Advocate
Respondent by :ShriAjay Singh CIT(DR)&R.Choudhary, Addl-CIT
सुनवाईकीतारीख/ Date of Hearing : 13/12/2018
घोषणाकीतारीख/Date of Pronouncement : 19/12/2018
आदे श / O R D E R
Per Dr. Arjun Lal Saini, AM:
The captioned appeal filed by the assessee, pertaining to Assessment Year 2010-11, is directed against an order passed by the Commissioner of Income Tax(Appeals)-, Asansol, in Appeal No.256/CIT(A)/Asl/Cir-3/Asl/12-13, dated 22.05.2014, which in turn arises out of an order passed by the Assessing Officer u/s.143(3) of the I.T. Act, 1961 (hereinafter referred to as the 'Act') dated 14.02.2013.
2. The grounds of appeal raised by the assessee reads as under:
"1. For that the order of the Ld. CIT(A) is arbitrary, excessive, hence bad in law.
2. For that on the facts of the case, the Ld. CIT(A), was not justified in sustaining the addition of Rs. 44,50,000/- u/s 68 of the Act, 1961 (without giving cognizance to the written submissions filed) when the identity, credit worthiness and genuineness of share applicants were established beyond doubt and the addition made may please by deleted.
3. For that on the facts of the case, the Ld. CIT(A), was not legally justified in sustaining the addition u/s 68 of the Act, 1961 on the basis of ADIT report (conducted through A.O. during remand), without any opportunity of rebuttal, without any opportunity of cross examination and without any infra departmental verification through concerned assessing officer even though all concerned particulars has been filed on record.
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4. For that on the facts of the case, the Ld. CIT(A), was not justified in sustaining the addition of Rs. 4,00,000/- on account of loan creditors, when the identity, credit worthiness and genuineness of loan creditors were established beyond doubt and the addition made may please be deleted.
5. For that the appellant craves leave to add, alter, amend any further grounds of appeal before or at the time of hearing."
3. Ground Nos.2 & 3 raised by the assessee relate to addition of Rs.44,50,000/- u/s 68 of the Income Tax Act, on account of share application money.
4. The facts apropos this issue are that the assessee filed its return of income for the A.Y 2010-11 on 26.09.2010. The assessee's case was processed u/s 143(1) of the I.T. Act. Later, the assessee's case was selected for scrutiny u/s 143(2) of the Act and the AO completed the assessment u/s 143(3) by making addition on account of unexplained share capital / share premium to the tune of Rs.44,50,000/- and on account of bogus loan creditors to the tune of Rs.5,00,000/-. The AO noted that the assessee has issued 317800 shares @ Rs. 10 each out of 10,00,000 authorized shares. Notices u/s 133(6), dated 21.08.2012, were issued to the alleged shareholders calling for the following documents/information: (i) Brief Note on business, (ii) Copy of Form of share application, (iii) Copy of the share allotment certificate, if allotted, or other relevant documents, if not pending, (iv) Mode of payment of share application money, (v) Copy of the ITR-V for the relevant Assessment Year and Copy of balance sheet along with its annexure. The shareholders to whom notices u/s 133(6) were addressed are as follows:
Name of the Shareholders No. of share Date of allotment Share application allotted money Adonis Vanijya Pvt. Ltd. 2000 31.03.2010 200000.00 Jain Agency Pvt. Ltd. 8500 31.03.2010 850000.00 Rajshree Traders Pvt. 3000 31.03.2010 300000.00 SalujaVyapar Pvt. Ltd. 9000 31.03.2010 900000.00 Silver Point Infratech Ltd. 5000 31.03.2010 500000.00 Versatile Vyapar Pvt. Ltd. 7000 31.03.2010 700000.00 VirgeVyapar Pvt. Ltd. 5000 31.03.2010 500000.00 Kolkata Vanijya Pvt. Ltd. 5000 31.03.2010 500000.00 Total 44509 4450000.00 Page | 2 M/s G D A C e me n t In d u s tr y Pv t . L td .
IT A No . 14 6 5/ K o l/ 20 1 4 As s es s m e nt Ye ar : 20 1 0- 1 1 Since, the assessee company could not prove the identity, creditworthiness and genuineness of these transactions, therefore, AO held that these shareholder companies were providedaccommodation entries and the amount of money credited in the books of the assessee, belonged to the assessee which was channelizing through banking account therefore, the AO made the addition of Rs.44,50,000/-.
5. Aggrieved by the addition made by the AO, the assessee filed an appeal before the ld. CIT(A) who has confirmed the addition made by the AO. Aggrieved, the assessee is in appeal before us.
6. We have given a careful consideration to the rival submissions and perused the materials available on record. At the outset itself, the ld Counsel submitted before us that share application money received from the following share subscribers pertain to the previous year 2008-09, relevant to assessment year 2009-10:
SalujaVyapar Pvt. Ltd. 9000 Rec.in AY 2009-10 9,00,000 Silver Point Infratech Ltd. 5000 Rec.in AY2009-10 5,00,000 VirgeVyapar Pvt. Ltd. 5000 Rec.in AY 2009-10 5,00,000 Kolkata Vanijya Pvt. Ltd. 5000 Rec.in AY2009-10 5,00,000 Total 24,00,000 The ld Counsel submitted that since the said amount of Rs. 24,00,000/-, was received from the above mentioned four share subscribers in the previous year 2008-09, relevant to assessment Year 2009-10, therefore, said cash credit amount is not assessable in the assessment year 2010-11, under consideration. The ld DR for the Revenue has fairly agreed with the proposition canvassed by theld counsel for the assessee that the said amount of Rs.24,00,00,000/-, which belong to four share subscribers and pertain to assessment year 2009-10,and therefore, addition on account of cash credit U/s 68 of the Act, should not be made in the assessment year 2010-11, under consideration.
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7. During the course of hearing, the ld. Counsel for the assessee submitted before us a chart showing the payment received from shareholders by account payee cheques and other details, which is given below for ready reference:
Name of Share PAN Mode of payment Amount Dated Remarks Applicants Adonis Vanijya AAHCA1770H Cheque A/c 200000.00 30.01.2010 One cheque of Rs. Pvt. Ltd. ITO Ward - Payee Bank 7,00,000/- received from 5 Council House 12(1) Statement filed Grace Dealers Pvt. Ltd.
Street, Kolkata - on 27.01.2010 out of
700001 which Rs. 2,00,000/-
invested in GDA Cement
on 30.01.2010 (Source of
source stands explained)
Supporting documents filed:
(Bank Statement, ITR-V Receipt, Copies of audited accounts, share application form) Jain Agency Pvt. AAACI7584M RTGS A/c trf. 350000.00 16.02.2010 Cheque from third party Ltd., ITO Ward - Bank Statement deposited in A/c and 20,Synagoue 6(2), Kolkata filed thereafter RTGS made in Street, 2nd Floor, favour of GDA (Source Kolkata - 700001 of source stands explained) 500000.00 13.03.2010 Cheque from third party deposited in A/c and thereafter RTGS made in favour of GDA (Source of source stands explained) Supporting documents filed:
(Bank Statement, ITR-V Receipt, Copies of audited accounts, share application form, Board Resolution) Rajshree Traders AADCR8010K RTGS A/c trf 300000.00 03.03.2010 Cheque of Rs. 8,00,000/-
Pvt. Ltd. ITO Ward - 4(1) Bank Statement transferred from third
5, Council House Kolkata filed party on 02.03.2010, out
Street, Kolkata - of which RTGS made for
700001 investment in GDA
Cement Rs. 3,00,000/-.
(Source of source stands
explained)
Supporting documents filed:
(Bank Statement, ITR-V Receipt, Copies of audited accounts, share application form) SalujaVyapar Pvt. AAKCS7274D A/c payee 500000.00 03.10.2008 Cheque of Rs. 6,00,000/-
Ltd. cheque, Bank transferred from third
6A, Raja Subodh Statement filed party on 03.10.2008, out
Mullick Square, of which cheque for
11th Floor, Kolkata investment in GDA
- 700013 Cement Rs. 5,00,000/-
(Source of source stands
explained)
Cheque of Rs. 4,00,000/-
transferred from third
A/c payee party on 23.12.2008, out
cheque, Bank 400000.00 24.12.2008 of which cheque for
Statement filed investment in GDA
Cement Rs. 4,00,000/-
(Source of source stands
explained)
VerstileVyapaar AACCV7869H A/c Payee 300000.00 31.12.2009 Cheque of Rs. 36 lacs
Pvt. Ltd. ITO Ward 6(1) Cheque transferred from third
5 Council House party on 29.12.2009, out
Street, Kolkata - of which investment
700001 made in GDA Cement
Rs. 7,00,000/-
(Source of source stands
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As s es s m e nt Ye ar : 20 1 0- 1 1
explained)
A/c payee cheque 400000.00 12.01.2010
Bank Statement
filed
Virgo Vypar Ltd., AACCV4497M A/c payee cheque 500000.00 08.12.2008 Cheque of Rs. 5,00,000/-
13/A Dakers Lane, Bank statement trf. From third party on
Kolkata filed (Asst. Year 04.12.2008 out of which
2009-10) cheque for investment in
GDA Cement Rs.
5,00,000/-. (Source of
source stands explained)
Kolkata Vanijya AADCK3571C A/c payee 500000.00 13.02.2009 Cheque of Rs.
Pvt. Ltd. cheque, Bank 10,00,000/- trf from
Statement filed third party on
(Asst. Year 2009- 13.02.2009, out of which
10) cheque for investment in
GDA Cement Rs.
5,00,000/-. (Source of
source stands explained)
Silver Point 500000.00 13.02.2009 cheque for investment in
Infratech Pvt.Ltd GDA Cement Rs.
5,00,000/-.
From the above chart it is abundantly clear that assessee company received the share application money from the share subscribers, namely: SalujaVyapaar Pvt. Ltd., Virgo Vypar Ltd, Kolkata Vanijya Pvt. Ltd, and Silver Point Infratech Pvt Ltd. in the previous year 2008-09, relevant to assessment year 2009-10. Therefore, the only question that needs to be addressed in the assessee`s case under consideration is whether the cash credit under section 68 of the Act can be added and assessed in the hands of the assessee for the A.Y.2010-11? We note thatthe Hon'ble Supreme Court in the case ofITO Vs. CH. Atchaiah (1996) 218 ITR 239 (SC) has held that the income should be assessed on the right person, right year and it should be on the right income. The relevant observation of the Hon'ble Supreme Courtare given below:
"4. In our opinion, the contention urged by Dr. Gauri shanker merits acceptance. We are of the opinion that under the present Act, the ITO has no option like the one he had under the 1922 Act. He can, and he must, tax the right person and the right person alone. By "right person", we mean the person who is liable to be taxed, according to law, with respect to a particular income. The expression "wrong person" is obviously used as the opposite of the expression "right person". Merely because a wrong person is taxed with respect to a particular income, the AO is not precluded from taxing the right person with respect to that income....."
From the aforesaid decision of the Hon'ble Supreme Court only the right income alone is liable to be taxed in the right assessment year and in the hand of right assessee. Since the cash credit amount of Rs. 24,00,00,000/- belongs to assessment Year 2009- 10, and does not belong to A.Y.2010-11 under consideration, hence we delete the Page | 5 M/s G D A C e me n t In d u s tr y Pv t . L td .
IT A No . 14 6 5/ K o l/ 20 1 4 As s es s m e nt Ye ar : 20 1 0- 1 1 addition to the extent of Rs. 24,00,00,000/-, and balance addition on account of cash credit of Rs.20,50,000/- ( Rs.44,50,000 Rs. 24,00,00,000) is hereby confirmed. Therefore, we direct the assessing officer to make addition to the tune of Rs.20,50,000/- only.
8. Ground Nos.1 & 3 raised by the assessee are supportive to Ground No.2, hence, do not require adjudication.
9. Ground No.4 raised by the assessee relates to addition of Rs.4,00,000/- on account of loan creditors.
10. The facts apropos this issue are that during the previous year 2009-10, the assessee has taken unsecured loan of Rs.5,00,000/- from the following persons:
Name & Address of the loan creditors Amount of loan Date of transaction Mode of Transaction Chanda Agarwal 1,00,000.00 26/08/2009 Bank Court Road, Near M M High School, Purulia -
723101.
Gobind Prasad Agarwal (HUF) 1,00,000.00 15/10/2009 Bank Court Road, Near M M High School, Purulia - 723101. Sangita Agarwal 1,00,000.00 02/05/2009 Bank Court Road, Near M M High School, Purulia - 1,00,000.00 26/08/2009 723101. Sanjay Kumar Agarwal (HUF) 1,00,000.00 15/10/2009 Bank Court Road, Near M M High School, Purulia - 723101. Total 5,00,000.00
During the assessment proceedings, the AO sent notices u/s 133(6) to these creditors to verify the genuineness, identity & creditworthiness of the loan creditors. The loan creditors have sent the requisite documents/information which have been examined by the AO. However, the AO noted in some cases, that the creditworthiness of providing loan to the assessee company was seemed to be doubtful. Hence, they had been issued summons u/s 131 of the Act for their personal appearance with certain documents like nature of business, bank statements, copy of balance sheet/profit & loss account etc. During the assessment proceedings, except Shri Sanjay Kumar Agarwal none appeared before the assessing officer. However, all the loan creditors had sent the Page | 6 M/s G D A C e me n t In d u s tr y Pv t . L td .
IT A No . 14 6 5/ K o l/ 20 1 4 As s es s m e nt Ye ar : 20 1 0- 1 1 requisite documents and information to the assessing officer. The AO held that loan creditors did not explain the source of their income and assessee had tried to inject black money by channelizinghis money through their respective bank accounts and therefore, the AO made the addition of Rs.5,00,000/- u/s 68 of the Act.
11. Aggrieved by the addition made by the AO, the assessee filed an appeal before the ld. CIT(A) who has partly deleted the addition. The ld. CIT(A) held that loan given by Shri Sanjay Kumar Agarwal is to be treated as genuine and the tests of genuineness and creditworthiness in respect of other loan creditors had failed. Therefore, the ld. CIT(A) deleted, the addition partly at Rs. 1,00,000/- and confirmed the balance addition of Rs.4,00,000/- (Rs.5,00,000 -Rs.1,00,000).
12. Aggrieved by the order of the ld. CIT(A), the assessee is in appeal before us. The ld Counsel relied on the submissions made before the ld CIT(A). On the other hand, the Ld. DR for the Revenue has primarily reiterated the stand taken by the Assessing Officer, which we have already noted in our earlier para and is not being repeated for the sake of brevity.
13. We have given a careful consideration to the rival submissions and perused the materials available on record, we note that all the transactions were done by the assessee through banking channeland respective loan creditor has submitted Confirmation, Income Tax Return, PAN Card, ledger account, copy of bank statements,(Vide paper book page 105 to 165), during the assessment proceedings. During the assessment proceedings, Shri Sanjay Kumar Agarwal, one of the creditors appeared before the assessing officer and explained the documents submitted by him before the AO. The assessing officer did not doubt the loan given by Shri Sanjay Kumar Agarwal, to the assessee and did not bring any evidence on record to show that loan given by Sanjay Kumar Agarwal is bogus. However, other four loan creditorshad sent the requisite documents and information to the assessing officer and did not appear personally before him.
14. We note that all loan creditors have submitted the required documents before the AO and it is also important to note that neither the AO nor the ld. CIT(A) has Page | 7 M/s G D A C e me n t In d u s tr y Pv t . L td .
IT A No . 14 6 5/ K o l/ 20 1 4 As s es s m e nt Ye ar : 20 1 0- 1 1 examinedthe Confirmation, Income Tax Return, PAN Card, ledger account, copy of bank statements submitted by the respective loan creditor. Both the authorities below did not comment whether documents submitted by creditors are false and untrue. We also note that both, ld AO as well as ld CIT(A), failed to bring any cogent evidence on record to show that these documents submitted by the respective creditors are false and untrue and do not carry any weight.Except physical appearance, the respective loan creditors has produced documents and information and these documents and information have not been verified and no comments were given by the AO, during the assessment stage. That is, AO had not dealt with the issue judiciously and consistently with the evidence adduced during the course of the assessment proceedings by the assessee and the replies of the creditors in respect of the borrowed amount, do not warrant the inference that such monies received from creditors is unaccounted cash credit. There is no material brought on record to that effect and wild speculation of this genre cannot be passed off as gospel truth.
All the transactions with the loan creditors were done through banking channel, and assessee has proved the genuineness creditworthiness and identity by submitting Confirmation, Income Tax Return, PAN Card, ledger account, copy of bank statements, and therefore, addition made by the assessing officer needs to be deleted, accordingly, we delete the balance addition sustained by ld CIT(A) to the tune of Rs.4,00,000/-.
15. In the result, the appeal filed by the assessee (in Ground No.4) is allowed.
Order is pronounced in the open court on 19.12.2018.
Sd/- Sd/- (A.T.Varkey) (DR. A.L.SAINI) ाियकसद / JUDICIAL MEMBER लेखासद / ACCOUNTANT MEMBER कोलकाता/Kolkata; िदनां क Dated 19/12/2018 (RS, SPS)
आदे शकी ितिलिपअ े िषत/Copy of the Order forwarded to :
1. अपीलाथ / The Appellant -M/s GDA Cement Industry Pvt . Ltd.
2. थ / The Respondent-ACIT, Cir-3, Asansol Page | 8 M/s G D A C e me n t In d u s tr y Pv t . L td .
IT A No . 14 6 5/ K o l/ 20 1 4 As s es s m e nt Ye ar : 20 1 0- 1 1
3. आयकरआयु (अपील) / The CIT(A),
4. आयकरआयु / CIT
5. िवभागीय ितिनिध, आयकरअपीलीयअिधकरण, कोलकाता/ DR, ITAT, Kolkata
6. गाड% फाईल / Guard file.
स ािपत ित True Copy By Order Assistant Registrar I.T.A.T, Kolkata Benches, Kolkata.
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