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Income Tax Appellate Tribunal - Delhi

Kanta Devi, Haldwani vs Ito, Haldwani on 19 April, 2017

                                   1                          ITA No. 284/Del/2009


                         IN THE INCOME TAX APPELLATE TRIBUNAL
                            DELHI BENCH: 'D' NEW DELHI

                     BEFORE SHRI R. S. SYAL, VICE PRESIDENT
                                        AND
                       MS SUCHITRA KAMBLE, JUDICIAL MEMBER

                                 I.T.A .No. 284/DEL/2009
                               (ASSESSMENT YEAR-2005-06)

     Smt. Kanta Devi                            Vs      Income Tax Officer-2
     Sadar Bazar                                        Haldwani
     Haldwani
     (APPELLANT)                                        (RESPONDENT)


                  Appellant by          Sh. Rakesh Gupta, Adv
                  Respondent by         Sh. Umesh Chand Dubey,
                                        Sr. DR

                     Date of Hearing                 18.04.2017
                     Date of Pronouncement            19.04.2017

                                        ORDER

PER SUCHITRA KAMBLE, JM

This appeal is filed against the order dated 19/11/2008 passed by the CIT(A)'s II, Dehradun.

2. The brief facts of the case are that the assessee has shown purchase of shares of M/s Rohan Finance Company and M/s Subhash Capital Ltd. These shares were claimed to be sold as set out in the assessment order by the Assessing Officer. The Assessing Officer conducted enquiries which were further confronted to the assessee. Subsequently, the A.O has conducted more enquiries and the information collected from CIC, Calcutta, DDIT (Investigation) and Registrar Share Transfer Agent which revealed that booking of long term capital account by the assessee is nothing but manipulation 2 ITA No. 284/Del/2009 carried out with active conveyance of the tender broker as per the Assessing Officer. The Assessing Officer made an addition of Rs.60,38,146/- as unexplained money u/s 69A on account of shares sold by the assessee.

3. Aggrieved by this the assessee filed appeal before the CIT(A). The main contention of the assessee before the CIT(A) was that various evidence such as communication of the broker with the DDIT (Inv.) Kolkata was not furnished to the assessee or confronted of any material in A.O's possession to the assessee at any point of time during assessment proceedings. The assessee's further ground before the CIT(A) was that the assessee was given copies of some documents received from Calcutta Stock Exchange and DDIT (Inv.) Kolkata on 27/12/2007 while show cause notice was issued one day prior i.e. 26/12/2007. Thus, assessee was given only a day's time for reply and compliance to complete the formality of confrontation of evidence to be used in assessment proceedings which was against the principles of natural justice. The assessee also submitted before the CIT(A) that the assessee was not given any opportunity as such about the material which was submitted before the Assessing Officer by the DDIT (Inv.) Calcutta. The CIT(A) vide dismissing the appeal of the assessee has also not given any detailed reasoning in respect of the said documents.

4. The Ld. AR submitted that since the evidence which was before the Assessing Officer was not confronted to the assessee and no opportunity was given to the assessee for pleading his case before the Assessing Officer, it will be appropriate to remand the matter before the Assessing Officer and the Assessing Officer be directed to take cognizance of all the materials placed before the DDIT ((Inv.) Calcutta and the Calcutta Stock Exchange documents by giving proper hearing to the assessee before the Assessing Officer . The Ld. DR agreed the submissions made by the Ld. AR.

3 ITA No. 284/Del/2009

5. We have heard both the sides. It is pertinent to note that the Assessing Officer as well as the CIT(A) has not given any findings in respect of the documents received by the Assessing Officer from DDIT (Inv.) Calcutta and Calcutta Stock Exchange. No ample opportunity was granted to the assessee before the Assessing Officer. Hence, in the interest of justice it is appropriate to remand this matter before the Assessing Officer by taking cognizance of all the documents and giving opportunity of hearing to the assessee for confronting the said documents and pleading her case before the Assessing Officer.

6. In result, appeal of the assessee is partly allowed for statistical purpose.

Order pronounced in the Open Court on 19th April, 2017.

     Sd/-                                                            Sd/-
(R. S. SYAL)                                             (SUCHITRA KAMBLE)
VICE PRESIDENT                                            JUDICIAL MEMBER

Dated:          19/04/2017
R. Naheed *

Copy forwarded to:

1.                           Appellant
2.                           Respondent
3.                           CIT
4.                           CIT(Appeals)
5.                           DR: ITAT




                                                    ASSISTANT REGISTRAR

                                                        ITAT NEW DELHI
                                      4                          ITA No. 284/Del/2009


                                                 Date

1.    Draft dictated on                                    PS
                                              18/04/2017

2.    Draft placed before author                           PS
                                              18/04/2017

3.    Draft proposed & placed before              .2017    JM/AM
      the second member

4.    Draft discussed/approved           by                JM/AM
      Second Member.

5.    Approved Draft comes to the                          PS/PS
      Sr.PS/PS                    19.04.2017

6.    Kept for pronouncement on                            PS

7.    File sent to the Bench Clerk            19.04.2017   PS

8.    Date on which file goes to the AR

9.    Date on which file goes to the
      Head Clerk.

10.   Date of dispatch of Order.
 5   ITA No. 284/Del/2009