Legal Document View

Unlock Advanced Research with PRISMAI

- Know your Kanoon - Doc Gen Hub - Counter Argument - Case Predict AI - Talk with IK Doc - ...
Upgrade to Premium
[Cites 5, Cited by 0]

Income Tax Appellate Tribunal - Delhi

Dcit Central Circle-29, New Delhi vs Sukhbir Shokeen, New Delhi on 23 May, 2023

         THE INCOME TAX APPELLATE TRIBUNAL
              DELHI BENCH 'G', NEW DELHI
       Before Dr. B. R. R. Kumar, Accountant Member
            Sh. Yogesh Kumar US, Judicial Member
        ITA No. 1477/Del/2020 : Asstt. Year: 2016-17
DCIT,                           Vs.   Sukhbir Shokeen,
Central Circle-29,                    A-99, Chhawla, Post Office,
New Delhi-110055                      New Delhi-110071
(APPELLANT)                           (RESPONDENT)
PAN No. ARJPS7497R

                 Assessee by : Sh. Karan Kumra, Adv.
                 Revenue by : Sh. H. K. Choudhary, CIT DR
Date of Hearing: 27.02.2023     Date of Pronouncement: 23.05.2023


                              ORDER

Per Dr. B. R. R. Kumar, Accountant Member:

The present appeal has been filed by the Revenue against the order of ld. CIT(A)-30, New Delhi dated 09.03.2020.

2. The Revenue has raised the following grounds of appeal:

"1. On the facts and in the circumstances of the case, the Ld.CIT(A) has not appreciated the facts and erred in law that the assessee did not cooperate during the assessment proceedings for which he was asked specifically to provide details of all his bank accounts but he failed to do so. When enquiry letters were sent on the bank accounts disclosed by the Investigation Wing, many other bank accounts came to the notice.
2. On the facts and in the circumstances of the case, the Ld.CIT(A) has not appreciated the facts and erred in law that inspite of being provided sufficient 2 ITA No. 1477/Del/20120 Sukhbir Shokeen opportunities, the assessee did not explain the debit/credit entries appearing in his bank account.
3. On the facts and in the circumstances of the case, the Ld.CIT(A) has not appreciated the facts and erred in law that the assessee was asked to submitted the details of debit/credit entries of his bank account from the very beginning through detailed questionnaires.
4. On the facts and in the circumstances of the case, the assessee himself accepted that he does not maintain regular books of accounts.
5. On the facts and in the circumstances of the case, the Ld.CIT(A) has not provided opportunity to the AO and no remand report u/s 46A of the Act has been called for from the AO in this case so as to counter the new evidences, if any filed by the assessee before the Ld. CIT(A).
6. On the facts and circumstances of the case, the Ld. CIT(A) has not appreciated the facts and erred in law that on the issue of addition of Rs. 4,59,50,000/- on account of unexplained investment no evidence was filed before the AO during the assessment proceedings in the form of identity, creditworthiness of the lender."

3. The brief facts of the case are that the assessee filed return of income declaring income at Rs. 10,65,080/-. A search and seizure action u/s 132 of the Act, was carried out on 13.12.2016 at the premises of the appellant. The assessee is engaged in sale and purchase of properties as a broker and deals in real estate and agricultural land. While explaining the substantial cash credits in his bank accounts, the appellant has submitted that he mostly acted as a broker for trading in agricultural land. The appellant also traded in agricultural land and submitted that his family owns ancestral agricultural land approximately 20 acres in Village Chhawla.

3 ITA No. 1477/Del/20120

Sukhbir Shokeen

4. The A.O. has noted that during the year under consideration, the appellant has been engaged in plotting and sale of this land to different parties. During the A.Y. 2016-17, the A.O. noted that there were substantial credits including the cash deposits in his different bank accounts and that the assessee has not been able to explain how the income figure for different assessment years has been worked out.

5. The income declared by the appellant in the A.Y. 2016-17 was not accepted and the A.O. concluded that the assessee being a broker in real estate business and having no other substantial source of income than the real estate business, the credits in the bank accounts represent the gross receipts of the assessee.

6. Thus, the income of the appellant has been computed by the A.O. at the rate of 8% of the total receipts/credits of Rs.11,08,41,059/-, u/s 44AD of the Act at Rs.88,67,284/-. Since, the appellant has already declared his return of income at Rs.10,65,080/-, for the year under consideration, the difference of Rs.78,02,204/- (188,67,284 - 10,65,080) is added by the Assessing Officer in the returned income of the appellant.

7. Further, during the assessment proceedings, the AO sought explanation regarding purchase of property by the appellant. The appellant was asked to submit all the documentary evidences with regard to the investment in property amounting to Rs. 4,59,50,000/-. The AO noted that the explanation in this regard filed by the appellant was not acceptable and added the 4 ITA No. 1477/Del/20120 Sukhbir Shokeen amount of Rs. 4,59,50,000/- on account of unexplained investment u/s 69 of the Act.

8. Aggrieved by the order of the AO, the assessee filed appeal before the ld. CIT(A) who deleted the addition which led to filing of the appeal before us by the revenue.

9. Excerpts from the Assessment Order:

"2. Information was received in this case about huge amount of cash in possession of Sh. Sukhbir Shokeen at his residence A-71, Pachhiya Mohalla, Chawla, Delhi 71. Accordingly, warrant u/s 132 of the Act as issued in respect of the above premise. During the course of search proceedings u/s 132 of the Act on 13.12.2016, cash seizure of Rs. 64,84,000/- (including new currency of Rs. 11.32 lacs) was made. Sh. Sukhbir Shokeen in his statement stated that the above mentioned cash was his unaccounted income of commission/brokerage received from the real estate business during the F.Y. 2016-17. He further stated that this unaccounted income has been generated in the form of commission received from the sale/purchase, mutation, lease deed, rent agreements and this was received by him from different parties in the form of cash. He further stated that he does not remember names of those parties from whom he has received the commission income in cash and does not keep any record of sale/purchase, mutation, lease deed and rent agreements. His statements were recorded u/s 132(4) of the Act on 13.12.2016 & 11.02.2017 and on 31.05.2017 u/s 131(1A) of the Act.
5 ITA No. 1477/Del/20120
Sukhbir Shokeen Statement of the assessee was also recorded before the undersigned during assessment proceedings on 24.12.2018. The above statements recorded during the search and post search proceedings were confronted to the assessee.
3. A notice u/s 153A of the Act was issued on 14-12-2017 and served on the assessee requesting to file his return of income within 15 days of the receipt of notice. In response to the statutory notice u/s 153A of the Act, the assessee filed his return of the income on 29-11-2018 declaring total taxable income of Rs. 10,65,080/-. Notice u/s 143(2) of the Act was issued on 07-12- 2018 fixing the case for hearing on 13-12- 2018, which was duly served upon the assessee through speed post. Notices u/s 142(1) of the Act alongwith detailed questionnaires was issued on 24-07-2018, 16-10-2018, and 26.12.2- 018 which were duly served on the assessee through speed post and AR of the assessee. In response thereto, Sh. Karan Kumra, of Kumra Bhatia & Co. represented the case before this office as authorized by the assessee and filed necessary details/information/documents, etc. as required.
4. During the year under consideration, the assessee is engaged in the sale and purchase of properties as a broker and deals in real estate and agricultural land. On perusal of the findings of the Investigation Wing, submission/details filed by the assessee and enquiries conducted u/s 133(6) of the Act, the following issues have emerged.
5. Enquiries u/s 133(6) of the Act and information relating to the bank accounts in assessee's name/joint name.
6 ITA No. 1477/Del/20120
Sukhbir Shokeen 5.1 During the post search as well as assessment proceedings, the assessee has admitted that he has not been maintaining regular books of accounts. Enquiries in the form of issuance of notices u/s 133(6) of the I.T. Act to the concerned bank branches were conducted and information relating to the bank statements of the assessee in his name/joint name were obtained. On perusal of these bank statements, it has been observed that there are substantial credit and debit entries in these bank accounts.
5.2 During assessment proceedings, vide this office questionnaire dated 26.12.2018, the assessee has been asked to explain these entries and provide narration of these entries. The AR of the assessee submitted that since regular books of accounts have not been maintained by the assessee over the years under consideration, it is not possible for the assessee to recall these entries.
5.3 The assessee is engaged in the sale and purchase of properties as a broker and deals in real estate and agricultural land. While explaining the substantial cash credits in his above mentioned bank accounts, he has submitted that the assessee mostly acts as a broker for trading in agricultural land. The assessee also trades in agricultural land himself and submitted that his family owns ancestral agricultural land approximately 20 acres in Village Chhawla. On perusal of the documents submitted by the assessee, it is seen that during the years under consideration, the assessee has been actively engaged in plotting and sale of this land to different parties. During A.Y. 2016-17, there are substantial credits (including the cash deposits) in his different bank accounts and the assessee has 7 ITA No. 1477/Del/20120 Sukhbir Shokeen not been able to explain how the income figure for different assessment years has been worked out in absence of any regular books of accounts maintained by him.
6. Special provision for computing profits and gains of business on presumptive basis.
6 .1 4 4A D of t h e A ct st at e s a s u n d er :
( 1) Not wit h st an d in g a n yt h in g t o t h e c on t r ar y c on t ain ed in s e ct i on s 2 8 t o 4 3 C , in t h e c as e o f an eli g ib l e as s e s s e e en g ag ed in an el ig ib l e b u sin e s s , a su m eq u a l t o eig h t p e r c en t o f t h e t o t al t u rn ov e r o r g r o s s r e c eip t s o f t h e as s e ss e e in t h e p r e vi ou s y e a r on a c c ou n t o f su ch b u sin e s s o r , a s t h e c as e m ay b e, a su m h ig h e r t h an t h e af o r e sa i d su m cl aim e d t o h a v e b e en ea rn ed b y t h e el ig ib l e a s s e s se e , s h all b e d e e m e d t o b e t h e p r of it s an d g ain s o f su ch b u sin e s s ch a r g e ab l e t o t a x u n d e r t h e h ead "P r ofit s an d g a in s o f b u sin e s s o r p r o f es si on ":
Pr o vid e d t h at t h is s u b - s e ct i on sh all h a v e e ff e ct a s i f f o r t h e w o rd s " eig h t p e r c en t ", t h e w o rd s " si x p e r c e n t " h ad b e en su b st it u t ed , i n r e sp e ct of t h e am ou n t of t ot a l t u r n o v er o r g r o s s r e c ei p t s wh ich i s r e c ei v e d b y an ac c ou n t p ay e e ch e q u e o r an ac c ou n t p a y e e b an k d ra ft o r u s e o f el e ct r on i c cl ea ri n g sy st e m t h r ou g h a b an k ac c ou n t d u rin g t h e p r ev i ou s y e a r o r b ef o r e t h e d u e d at e s p ec ifi e d in su b - s e ct i on ( 1) of s e c t ion 1 3 9 in r e sp e ct o f t h at p r e vi ou s y ea r. ] ( 2) A n y d ed u ct io n a ll o wab l e u n d e r t h e p r ov is i on s of s e ct io n s 3 0 t o 3 8 sh al l, f o r t h e p u r p o s es o f su b - s e ct i on ( 1) , b e d e em ed t o h av e b e en al r ead y g iv en fu l l e f f ect t o an d n o fu rt h e r d ed u ct i on u n d e r t h o s e s e ct i on s sh all b e all ow ed .
( 3) Th e w rit t en d o wn v alu e o f an y a s s et o f an elig ib l e b u si n es s sh a ll b e d e e m ed t o h av e b e e n cal cu l at ed a s if t h e elig i b l e a ss e s s e e h ad cl aim e d an d h ad b e en a ct u al ly a llo w ed t h e d ed u ct i o n in r es p ec t of t h e d ep r e ci at i on f o r ea ch of t h e r el e van t a s s es sm e n t y ea r s ."
8 ITA No. 1477/Del/20120

Sukhbir Shokeen A search and seizure operation u/s 132 of the Act was carried out on the assessee on 13.12.2016 and cash of Rs. 64.84 lacs was found at his residence. The assessee during the course of statement recorded on oath u/s 132(4) of the Act admitted this amount to be his unaccounted income from real estate business. Later, he declared 100% of this amount for taxation u/s 44AD in his return of income filed for A.Y. 2017-18.

6.3 The above discussion implies that consequent upon the search on the assessee and seizure of unaccounted cash of Rs. 64.84 lacs, the assessee declared income from business or profession amounting to Rs. 71,73,450/- u/s 44AD. This amount of Rs. 71,73,450/- includes 100% of the cash seized during search and offered the same as his unaccounted income while filing his return of income for A.Y. 2017-18. In the preceding years as well as the instant A.Y. 2016-17, the income declared are low as compared to the income declared in A.Y. 2017-18 consequent to the search. Thus, it is apparent that the assessee was having substantially higher income over the different assessment years under consideration. Therefore, income declared by assessee w.e.f. A.Y. 2011-12 to 2016-17 are not acceptable and are re-worked out. The following credits have been observed in different bank accounts of the assessee in his name/joint name during the years under consideration.

A .Y . T ot al c r ed it s Ca sh d ep o sit s 2011-12 1,0 2, 2 8 ,5 1 3 / - 8 2, 0 0 ,0 0 0/ -

2012-13 9 1, 0 1 ,2 3 8/ - 3 6, 0 8 ,0 0 0/ -

2013-14 1 6, 1 0 ,3 1 ,0 5 4/ - 7 8, 9 0 ,0 0 0/ -

2014-15 3,0 4, 5 7 ,6 5 5 / - 4 0, 0 1 ,0 0 0/ -

2015-16 1 8, 5 3 ,. 6 3 ,5 2 2 / - 3 5, 7 3 ,0 0 0/ -

9 ITA No. 1477/Del/20120

Sukhbir Shokeen 2016-17 1 5, 6 7 ,9 1 ,0 5 9/ - ( le ss R s . 1 3, 5 0 ,0 0 0/ -

           4,5 9, 5 0 ,0 0 0 / -                   co n si d e r ed
           s ep a r at el y          as          u n exp lain e d
           in v e st m en t        for        p u r ch a s e     of
           p r op e rt i es )
2017-18    5,8 5, 2 0 ,1 1 8 / -                                      3 2, 0 0 ,0 0 0/ -


6.4 The assessee being a broker in real estate business and having no other substantial source of income than the real estate business, these credits represents the receipts of the assessee from real estate business. The income of the assessee has been worked out as eight percent of the above receipts during the relevant financial year u/s 44AD of the I T Act. As per the table above, the gross receipts during the relevant assessment years are Rs. 11,08,41,059/-. Therefore, income of the assessee is calculated at Rs. 88,67,284/- @8% of gross receipts as per the discussion made above. Further, for the relevant assessment year, the assessee has declared taxable income of Rs. 10,65,080/- in his return of income filed. Therefore, after deducting this amount from the income worked out above, the balance figure of Rs. 78,02,204/ - is added to the returned income of the assessee.

(Addition Rs. 78,02,204/-)

7. Issue of property purchase by Sh. Sukhbir Shokeen 7.1 During the course of survey proceedings u/s 133A of the Act at Rangpuri, Delhi at the office premise of M/s Shokeen Real Estate Pvt. Ltd., Annexure A-1 to A-5 were impounded. These annexures contain sale deed/sale and purchase agreements registered at sub-registrar office. Page 36 to 43, 48 to 55, 56 to 10 ITA No. 1477/Del/20120 Sukhbir Shokeen 63 and 64 to 71 are related to the purchase of agricultural land by Sh. Sukhbir Shokeen as per following details:-

A n n e xu r e D e s c rip t i on of S el l e r Bu y e r D at e o f sal e T ot al t h e la n d d e ed c on s id e rat i on e x ecu t ed p ri c e A - 1 ( l o o s e 1 .1 6 4 a cr e S m t . Sh. 2 7 . 0 8 .2 0 1 5 6200000 p ap e r s) vill ag e Pr e m w at i Sukhbir Pag e N o 3 6 D h an s a D elh i S h o k ee n to 43 A - 3 ( l o o s e 1 .3 7 5 a cr e S h . Sh. 0 2 . 1 1 .2 0 1 5 7500000 p ap e r s) V ill K aila sh Sukhbir 48 to 55 D h an s a, Gah l ot S h o k ee n D elh i 56 to 63 2 .7 6 0 4 a cr e S h . Sh. 2 7 . 0 8 .2 0 1 5 14650000 V ill Ha ri sh Sukhbir D h an s a, Gah l ot S h o k ee n D elh i

64 to 71 3 .3 1 5 a cr e S m t . Sh. 2 7 . 0 8 .2 0 1 5 17600000 V ill S u d esh Sukhbir D h an s a, Gah l ot S h o k ee n D elh i 7.3 The assessee vide his submissions dated 18.12.2018, submitted that he had purchased lands in village Dhansa, New Delhi during F.Y. 2015-16. The sources of payment have been stated to be advance of Rs. 1,00,00,000/ - from Mr. Vikram Burman received in assessee's SBI a/c, advance of Rs. 1,00,00,000/- from Ms. Asha Singla received in assessee's HDFC Bank a/c and Rs. 75,00,000/- received in assessee's HDFC Bank a/c, Rs. 25,00,000/- from Sh. Sunil Kumar Sehrawat received in assessee's HDFC a/c. Further, amounts of Rs. 1,00,00,000/- and Rs. 25,00,000/- have been transferred from assessee's own a/c in SBI to assessee's a/c in HDFC Bank.

7.4 As discussed above, additions @8% of the gross receipts in the form of credits entries in his different bank accounts is also being made, therefore the above mentioned amounts paid by 11 ITA No. 1477/Del/20120 Sukhbir Shokeen the assessee from his bank accounts for the purchase of properties have been excluded from the gross credits entries considered for calculating the income of the assessee @8% u/s 44AD of the Act. In view of the discussion made above, the payments made by the assessee for the purchase of above properties have remained unexplained and are added to the income of the assessee u/s 69 of the Act for A.Y. 2016-17.

(Addition Rs. 4,59,50,000/-)"

10. Before us, the ld. AR supported the order of the ld. CIT(A) whereas the ld. DR supported the order of the Assessing Officer.
11. Heard the arguments of both the parties and perused the material available on record.
12. We find that the ld. CIT(A) deleted the addition holding that the assessee was issued questionnaire on 26.12.2018 and the assessment has been completed on 30.12.2018 and there is absolute lack of time given to the assessee to explain the transactions of the entire period u/s 153A. The ld. CIT(A) held that the provisions of section 44AD are clear and unambiguous. Section 44AD (6)(ii) clearly provides that the provisions of this section do not apply to a person who earns income in the nature of commission or brokerage. As the appellant only earns income in the nature of commission or brokerage consistently across the years, the provisions of section 44AD cannot be applied to the facts of the appellant. The ld. CIT(A) has also held that on law the explanation B to section 44AD provides for a monetary limit of gross receipts/ turnover for application of deemed profit of 8%. A perusal of the assessment order also shows that the 12 ITA No. 1477/Del/20120 Sukhbir Shokeen turnover computed for the subject assessment year (Rs.11,08,41,059) also breaches the threshold as per explanation B of section 44AD (Rs. 2,00,00,000). Thus, the application of section 44AD is not correct. The ld. CIT(A) held that no evidence has been brought on record by the Assessing Officer to attract provisions of section 44AD to all credits of the appellant's bank statements. In the absence of any such basis or reasoning, it was held that the application of section 44AD to the facts of the appellant's case is not proper. In the absence of any material contra, we decline to interfere with the adjudication of the ld. CIT(A) on the issue of invocation of the provisions of Section 44AD of the Income Tax Act, 1961.
13. With regard to the addition of Rs.4.59 Cr., the details of the fund flow till the date of payment for all the four properties is as under:
Date                            Dr. Amt          Cr. Amt         Balance
             Opening Balance                                     10,86,832.93
07.04.2015   DEP TFR                           1,00,00,000.00 1,10,86,832.93 Advance    for
             04430PAYMENT                                                    property JSB
             SYSTEM                                                          Auto
10.04.2015   CHQ      DEP    04328             1,00,00,000.00 2,10,86,832.93 Advance    for
             CCPC      (CTS)   NEW                                           property JSB
             YES                                                             Auto
13.04.2015   CAS CHQ XFER WD 2,00,00,056.00                   10,86,776.93   Refund of
             11361 EPFO Sector-                                              advance
             23      CA    Multicity                                         Ashok
             Cheque TRF TRFto                                                Dusat
             0030156153398                                                   taken on
                                                                             31.03.2015
20.04.2015   CAS       PRES    CHQ 1,61,359.00                9,25,417.93    Loan
             04328 CCPC (CTS)                                                Installment
             NEW      CA   Multicity
             Cheque HDF Delhi
24.04.2015   HD
             D  BI T
               EB  PDC 11361 EPFO 102.00                      9,25,315.93    Bank
             Sector-23                                                       Charges
             SIGN.VERF.
07.05.2015   DEBIT 04328 CCPC 1,61,359.00                     7,63,956.93    Loan
             (CTS) NEW                                                       Installment
             ECSDebitHDFC Bank
14.05.2015   CAS       PRES    CHQ 7,00,000.00                63,956.93      Salary    and
             04328 CCPC (CTS)                                                expenses
             NEW      CA   Multicity
             Cheque
                                                   13                            ITA No. 1477/Del/20120
                                                                                       Sukhbir Shokeen

14.05.2015   CSH   DEP   11361                     5,00,000.00    5,63,956.93
             EPFO    SECTOR-23
             CASH DEPOSIT SELF
09.06.2015   DEBIT 04328 CCPC 1,61,359.00                         4,02,597.93        Loan
             (CTS) NEW                                                               Installment
             ECS   Debit    HDFC
             Bank LI
20.06.2015   CAS     PRES    CHQ 5,240.00                         3,97,357.93        Accounting
             04328 CCPC (CTS)                                                        Charges
             NEW   CA    Multicity
             Cheque
23.06.2015   DEP     TFR    04430                  25,00,000.00   28,97,357.93       Advance       for
             PAYMENT      SYSTEM                                                     property     JSB
             RTGS                                                                    Auto
             HDFCR52015062364
             764 592 J S B AUTO
             P STATE BANK OF
             INDIA      TRF     FR
             3199856044300
             RTGS 592 J S B
             AUTO P STATE BANK
             OF INDIA
             HDFCR52015062364
             764
23.06.2015   DEP     TFR    04430                  25,00,000.00   53,97,357.93       Advance       for
             PAYMENT      SYSTEM                                                     property     JSB
             RTGS                                                                    Auto
             YESBR52015062300
             003
             849 J S B AUTO P
             STATE     BANK     OF
             INDIA      TRF     FR
             3199859044307
             RTGS
             YESBR52015062300
             003
             849 J S B AUTO P
             STATE     BANK     OF
             INDIA
24.06.2015   CHQ     DEP    04328                  25,00,000.00   78,97,357.93       Contra
             CCPC(CTS) NEW YES
24.06.2015   CHQ     DEP    04328                  25,00,000.00   1,03,97,357.93 Contra
             CCPC(CTS) NEW YES
24.06.2015   OUT-CHQ        Return 25,00,000.00                   78,97,357.93       Contra
             04328 CCPC (CTS)
             New      01     Funds
             Insufficient
24.06.2015   FID Loans           228.00                           78,97,129.93       Bank
                                                                                     Charges
24.06.2015   OUT-CHQ     Return 25,00,000.00                      53,97,129.93       Contra
             04328 CCPC (CTS)
             New      02Exceeds
             Arrangement
24.06.2015   FID Loans           228.00                           53,96,901.93       Bank
                                                                                     Charges
                                                 14                           ITA No. 1477/Del/20120
                                                                                    Sukhbir Shokeen

02.07.2015   DEP           TFR                     2,30,00,000.00 2,83,96,901.93 Advance        for
             04430PAYMENT                                                        property
             SYSTEM        RGS                                                   Vikram
             PUNBR52015070210                                                    Burman
             012
             051 VIKRAM BURMA
             STATE   BANK   OF
             INDIA    TRF   FR
             3199855044301
             RTGS
             PUNBR52015070210
             012
             051 VIKRMA BURMA
             STATE   BANK   OF
             INDIA
03.07.2015   CAS    PRES    CHQ 5,00,000.00                      2,78,96,901.93 Payment    of
             04328 CCPC (CTS)                                                   advance
             NEW   CA   Multicity                                               refunded on
             Cheque PNB Sarika                                                  15.06.2016
             Malu

07.07.2015   DEBIT 04328 CCPC 1,61,359.00                        2,77,35,542.93 Loan
             (CTS) NEW                                                          Installment
             ECS    Debit    HDFC
             Bank Ltd.
07.07.2015   REMT    THRU     CHQ 2,02,00,056.00                 75,35,486.93     Advance
             11361 EPFO Sector-                                                   given Sunil
             23    CA     Multicity
             Cheque          RTGS
             SBINR5201507071
             7256862
             Sunil Kumar State
             Bank of India

09.07.2015   CHQ    DEP   04328                    1,00,00,000.00 1,75,35,486.93 Advance for
             CCPC   (CTS)  NEW                                                   property
             PNB                                                                 Vikram
                                                                                 Burman
15.07.2015   CAS    PRES    CHQ 4,180.00                         1,75,31,306.93 Accounting
             04328 CCPC (CTS)                                                   Charges
             NEW   CA   Multicity
             Cheque
20.07.2015   CAS    PRES     CHQ 58,353.00                       1,74,72,953.93 Accounting
             04328 CCPC (CTS)                                                   Charges
             NEW   CA    Multicity
             Cheque KBL Jasbir
             and ASS
24.07.2015   REMT    THRU    CHQ 35,00,056.00                    1,39,72,897.93 Purchase   of
             11361 EPFO Sector-                                                 Property 2
             23   CA     Multicity
             Cheque         RTGS
             SBINR5201507241
             7933436
             Sudesh Gahlo State
             Bank of India

24.07.2015   REMT    THRU    CHQ 35,00,056.00                    1,04,72,841.93 Purchase   of
             11361 EPFO Sector-                                                 Property 3
             23    CA    Multicity
             Cheque         RTGS
             SBINR5201507241
             7933705
             Harish Gahlo
             State Bank of India
                                                 15                        ITA No. 1477/Del/20120
                                                                                 Sukhbir Shokeen

24.07.2015   REMT    THRU    CHQ 30,00,056.00                  74,72,785.93    Purchase   of
             11361 EPFO Sector-                                                Property 4
             23    CA   Multicity
             Cheque         RTGS
             SBINR5201507241
             7933965
             Prem Wati
             State Bank of India

27.07.2015   CHQ    DEP   04328                  9,00,000.00   83,72,785.93    Advance   for
             CCPC   (CTS)  NEW                                                 property Hari
             BOB                                                               Om Rana

27.07.2015   CHQ    DEP   04328                  7,00,000.00   90,72,785.93    Advance for
             CCPC   (CTS)  NEW                                                 property
             HDF                                                               Ved
                                                                               Prakash
                                                                               Rana

27.07.2015   CHQ    DEP   04328                  9,00,000.00   99,72,785.93    Advance   for
             CCPC   (CTS)  NEW                                                 property Raj
             INB                                                               Pal Singh
27.07.2015   CHQ    DEP   04328                  9,00,000.00   1,08,72,785.93 Advance for
             CCPC   (CTS)  NEW                                                property
             BOB                                                              Ved
                                                                              Prakash
                                                                              Rana

07.08.2015   DEBIT 04328   CCPC 1,61,359.00                    1,07,11,426.93 Loan
             (CTS) NEW                                                        Installment
             ECS   Debit   HDFC
             Bank LI
24.08.2015   REMT    THRU    CHQ 8,79,056.00                   98,32,370.93    Payment    of
             11361 EPFO Sector-                                                stamp duty -
             23    CA    Multicity                                             Property 2
             Cheque         RTGS
             SBINR5201508241
             9131880
             Stock Holdin
             State Bank of India

26.08.2015   REMT   THRU    CHQ 1,125.00                       98,31,245.93    Payment    of
             11361 EPFO Sector-                                                stamp duty -
             23   CA   Multicity                                               Property 2
             Cheque DD Issue

26.08.2015   REMT   THRU    CHQ 1,125.00                       98,30,120.93    Payment    of
             11361 EPFO Sector-                                                stamp duty -
             23   CA   Multicity                                               Property 2
             Cheque DD Issue
26.08.2015   REMT   THRU    CHQ 1,125.00                       98,28,995.93    Payment    of
             11361 EPFO Sector-                                                stamp duty -
             23   CA   Multicity                                               Property 2
             Cheque DD Issue
26.08.2015   REMT   THRU    CHQ 62,411.00                      97,66,584.93    Payment    of
             11361 EPFO Sector-                                                stamp duty -
             23   CA   Multicity                                               Property 2
             Cheque DD Issue
26.08.2015   REMT   THRU    CHQ 1,76,804.00                    95,89,780.93    Payment    of
             11361 EPFO Sector-                                                stamp duty -
             23   CA   Multicity                                               Property 3
             Cheque DD Issue
                                                16                           ITA No. 1477/Del/20120
                                                                                   Sukhbir Shokeen

26.08.2015   REMT   THRU    CHQ 1,47,186.00                      94,42,594.93    Payment    of
             11361 EPFO Sector-                                                  TDS         -
             23   CA   Multicity                                                 Property 2
             Cheque DD Issue
28.08.2015   DEP   TFR   04430                    75,00,000.00   1,69,42,594.93 Advance  for
             PAYMENT    SYSTEM                                                  property
             RTGS                                                               Swede Auto
             YESBR5201508280
             0007095
             SWEDE    AUTO   P
             STATE   BANK   OF
             INDIA
             TRF            FR
             3199859044307
             RTGS
             YESBR5201508280
             0007095
             SWEDE    AUTO   P
             STATE   BANK   OF
             INDIA

29.08.2015   REMT    THRU    CHQ 1,00,00,056.00                  69,42,538.93    Own
             11361 EPFO Sector-                                                  account
             23    CA   Multicity                                                transfer
             Cheque         RTGS
             SBINR5201508291
             9359672
             Sukhbir Singh
             State Bank of India
08.09.2015   DEBIT 04328    CCPC 1,61,359.00                     67,81,179.93    Loan
             (CTS) NEW                                                           Installment
             ECS   Debit    HDFC
             Bank LI
21.09.2015   CAS    PRES    CHQ 6,270.00                         67,74,909.93    Accounting
             04328 CCPC (CTS)                                                    Charges
             NEW   CA   Multicity
             Cheque
07.10.2015   DEBIT 04328    CCPC 1,61,359.00                     66,13,550.93    Loan
             (CTS) NEW                                                           Installment
             ECS Debit
             HDFC Bank LI
23.10.2015   REMT    THRU    CHQ 4,50,031.00                     61,63,519.93    Payment    of
             11361 EPFO Sector-                                                  stamp duty -
             23    CA   Multicity                                                Property 1
             Cheque         RTGS
             SBINR5201510232
             1447575
             Stock Holding Corp
             State Bank of India

23.10.2015   REMT    THRU    CHQ 1,119.50                        61,62,400.43    Payment    of
             11361 EPFO Sector-                                                  stamp duty -
             23    CA   Multicity                                                Property 1
             Cheque         RTGS
             SBINR51529668169
             0
             Stock Holding Corp
             State Bank of India
                                                  17                          ITA No. 1477/Del/20120
                                                                                    Sukhbir Shokeen

23.10.2015   REMT    THRU    CHQ 75,128.00                       60,87,272.43     Payment    of
             11361 EPFO Sector-                                                   stamp duty -
             23    CA   Multicity                                                 Property 1
             Cheque         RTGS
             SBINR51529668344
             9
             Stock Holding Corp
             State Bank of India

Date                               Dr. Amt        Cr. Amt        Balance
             Opening Balance                                     19,37,000.00
15.04.2015   FT-DR-                5,00,000.00                   14,37,000.00     Advance
             03381530002362    -                                                  Given   Ram
             Ram Karan Rana                                                       Karan Rana

18.04.2015   RTGS           CR-                   1,00,00,000.00 1,14,37,000.00 Refund      of
             UTIB0000096- ASHA                                                  advance
             SINGLA-SUKHBIR                                                     Asha Singla
             SHOKEEN-
             UTIBR52015041800
             034884
18.04.2015   RTGS           CR-                   1,00,00,000.00 2,14,37,000.00 Refund      of
             UTIB0000096- ASHA                                                  advance
             SINGLA-SUKHBIR                                                     Asha Singla
             SHOKEEN-
             UTIBR52015041800
             034824
22.04.2015   FT-CR-                               5,00,000.00    2,19,37,000.00 Refund     of
             03381530002362-                                                    advance Ram
             RAM KARAN RANA                                                     Karan Rana
22.04.2015   RTGS           CR-                   2,00,00,000.00 4,19,37,000.00 Refund      of
             UTIB0000096- ASHA                                                  advance
             SINGLA-SUKHBIR                                                     Asha Singla
             SHOKEEN-
             UTIBR52015042200
             023332
08.05.2015   RTGS          DR- 2,00,00,000.00                    2,19,37,000.00 Repayment
             SCBL0036086-                                                       of    advance
             Jagdish    Yadav-                                                  taken    from
             Dwarka         II-                                                 Jagdish
             HDFCR52015050862                                                   Yadav      on
             971654                                                             24.03.2015
11.05.2015   RTGS            DR- 11,49,600.00                    2,07,87,400.00 Payment    of
             CORP0000888-                                                       stamp duty -
             Stock        Holding                                               Property 5
             Corporation        of
             India-Dwarka      II-
             HDFCR52015051163
             022213
11.05.2015   CHQ No. - 000068, 1,100.00                          2,07,86,300.00 Payment    of
             AMT.   -  19352800                                                 stamp duty -
             Dwarka      II      -                                              Property 5
             092412011330        -
             0000000000
11.05.2015   CHQ No. - 000068. 1,91,60,000.00                    16,26,300.00     Purchase   of
             AMT.   -  19352800                                                   Property 5
             Dwarka      II      -
             092412011328        -
             0000000068
                                                   18                            ITA No. 1477/Del/20120
                                                                                       Sukhbir Shokeen

11.05.2015   CHQ No. - 000068. 1,91,700.00                        14,34,600.00       Payment    of
             AMT.   -  19352800                                                      stamp duty -
             Dwarka      II    -                                                     Property 5
             092412011329      -
             0000000000
22.06.2015   RTGS           CR-                    1,00,00,000.00 1,14,34,600.00 Refund      of
             UTIB0000147-                                                        advance
             Asha Singla-Sukhbir                                                 Asha Singla
             Shokeen -
             UTIBR52015062200
             059385
29.08.2015   FT-DR-                55,75,000.00                   58,59,600.00       Purchase   of
             02731530003604    -                                                     Property 2
             Harish Gahlot
29.08.2015   FT-DR-                32,00,000.00                   26,59,600.00       Purchase   of
             02731530003596    -                                                     Property 4
             Premwati
29.08.2015   RTGS          CR-                     75,00,000.00   1,01,59,600.00 Advance  for
             YESB0000001      -                                                  land  Swede
             SWEDE        AUTO                                                   Auto
             PRIVATE  LIMITED-
             SUKHIR      SINGH
             SHOKEEN-
             YESBR52015082900
             000737

29.08.2015   RTGS            CR-                   1,00,00,000.00 2,01,59,600.00 Own account
             SBIN0011361-                                                        transfer
             SUKHBIR SHOKEEN-
             SUKHBIR       SINGH
             SHOKEEN-
             SBINR52015082919
             359672
02.09.2015   FT-DR-              70,50,000.00                     1,31,09,600.00 Purchase   of
             02731530003655-                                                     Property 3
             Sudesh Gahlot

03.09.2015   FT-DR-                70,50,000.00                   60,59,600.00       Purchase   of
             02731530003655-                                                         Property 3
             Sudesh Gahlot
04.09.2015   FT-DR-                55,75,000.00                   4,84,600.00        Purchase   of
             02731530003604-                                                         Property 2
             Harish Gahlot
02.11.2015   RTGS          CR-                     25,00,000.00   29,84,600.00       Refund of
             CORP0001244-                                                            advance
             SUNIL     KUMAR-                                                        Sunil
             SUKHBIR    SINGH
             SHOKEEN-
             CORPR92015110212
             440004
04.11.2015   RTGS            CR-                   25,00,000.00   54,84,600.00       Refund of
             CORP0001244-                                                            advance
             SUNIL       KUMAR-                                                      Sunil
             SUKHBIR       SINGH
             SHOKEEN-
             CORPR92015110412
             440001
04.11.2015   FT-DR-              50,00,000.00                     4,84,600.00        Purchase   of
             02731930001030-                                                         Property 1
             Kailash Gahlot
                                                 19                             ITA No. 1477/Del/20120
                                                                                      Sukhbir Shokeen

05.11.2015   RTGS          CR-                   25,00,000.00    29,84,600.00       Own account
             SBIN0011361-                                                           transfer
             SUKHBIR SINGH
09.11.2015   FT-DR-              25,00,000.00                    4,84,600.00        Purchase   of
             02731930001030-                                                        Property 1
             Kailash Gahlot
28.03.2016   Program             114.50                          4,84,485.50        Bank
             Management      fee                                                    Charges
             Jan-Mar 16 230316



  14.    We find that the ld. CIT(A)                   deleted the addition on the
grounds that the sources of the entire amounts, the credits and debits in the bank account have been duly explained. We find that the amounts have been received against purchase of properties from various persons namely, Ms. Sarika Malu, Sh. Vikram Burman, Sh. Sunil Kumar, Sh. Jasbir, Ms. Premwati, Sh. Ram Karan Rana, Sh. Jagdish Yadav, Ms. Asha Singhla, Sh. Sudesh Gahlot. The bank statement also consists of amounts received and refunded to various people in total five properties have been purchased and payment of stamp duty is also reflected in the same bank account.
15. The assessee also submitted the documentary evidence such as confirmation, PAN details, copies of accounts etc. to substantiate the above source of funds. No adverse inference has been drawn on such explanations by the Assessing Officer. However, it is seen that the Assessing Officer has passed a remark that there exist other transactions of equivalent amounts from these persons and that it is not clear whether these amounts are also advances. The properties which have been purchased in the name of the assessee and the subsequent sale from such properties is offered to tax as capital gains in the year in which such sale is undertaken.
20 ITA No. 1477/Del/20120
Sukhbir Shokeen
16. The Assessing Officer has made a remark that it is not explained why the properties were purchased by the appellant where the loans were provided by other parties. However, there is no embargo in law to purchase a property from borrowed funds. The appellant has explained that the nature of income earned by him is solely that of commission/ brokerage, pension, interest and capital gains. While explaining his investment activities from which capital gains are earned in the year of sale, the appellant submitted that he makes investment in properties either from his own funds or from borrowed funds. Whenever such properties are sold, the resultant capital gains is offered to tax in the relevant assessment year.
17. Further, during the course of search, no incriminating evidence was discovered or seized to show that the credits of the appellant's bank statements were in the nature of income or that he was engaged in any other line of work. In this regard, it is noteworthy that the appellant was required to explain the source of funds utilized for purchasing the said properties, which has been duly discharged by the appellant. A mere suspicion has been raised by the Assessing Officer on such other credits of equivalent amounts, without seeking explanation of such other credits from the appellant. All credits appearing in his bank statement are duly explained, and the documentary evidence placed on record has been duly perused and examined. The source of investment made by the appellant during the year stands sufficiently explained. Hence, we decline to interfere with the reasoned order of the ld. CIT(A).
21 ITA No. 1477/Del/20120
Sukhbir Shokeen
18. In the result, the appeal of the Revenue is dismissed. Order Pronounced in the Open Court on 23/05/2023.
              Sd/-                                Sd/-
 (Yogesh Kumar US)                        (Dr. B. R. R. Kumar)
  Judicial Member                         Accountant Member
Dated: 23/05/2023
*Subodh Kumar, Sr. PS*
Copy forwarded to:
1. Appellant
2. Respondent
3. CIT
4. CIT(Appeals)
5. DR: ITAT
                                               ASSISTANT REGISTRAR