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        Case ID :

        2022 (8) TMI 1289 - AT - Income Tax

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        Tribunal grants appeal partly, acknowledges Section 147 reopening, upholds related party transactions, and disallows purchases. The Tribunal partly allowed the appeal, granting condonation for the delay in filing due to health issues during the pandemic. The addition of Rs. ...
                          Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.

                              Tribunal grants appeal partly, acknowledges Section 147 reopening, upholds related party transactions, and disallows purchases.

                              The Tribunal partly allowed the appeal, granting condonation for the delay in filing due to health issues during the pandemic. The addition of Rs. 17,92,880/- to income was upheld based on related party transactions. The case reopening under Section 147 was acknowledged, but no comment was made pending further adjudication. Disallowance of purchases from unregistered dealers was partially upheld, adjusting the net profit ratio. The Tribunal considered the circumstances, related party transactions, and the delay in filing, leading to a partial allowance of the appeal.




                              Issues:
                              1. Condonation of delay in filing appeal.
                              2. Treatment of material purchases as bogus.
                              3. Addition of Rs. 17,92,880/- to income.
                              4. Reopening of the case under Section 147.
                              5. Disallowance of purchases made from unregistered dealers.

                              Issue 1: Condonation of delay in filing appeal
                              The appeal was filed with a delay of 29 days. The appellant, a senior citizen, cited health issues during the second wave of the Covid-19 pandemic as the reason for the delay. The authorized representative emphasized that the delay was unintentional and requested condonation. The senior departmental representative did not oppose the plea. The Tribunal considered the circumstances, including the pandemic situation, and granted condonation, admitting the appeal for hearing on merit.

                              Issue 2: Treatment of material purchases as bogus
                              The Assessing Officer noted that the appellant issued cheques against purchases mostly at the end of the year and sought details which were not furnished. Subsequently, the Officer treated the suppliers as bogus and made an addition of Rs. 17,92,880/- as bogus purchases. The appellant contended that purchases were made from unregistered dealers and provided bills and vouchers. However, the NFAC upheld the addition, considering the appellant's son's involvement in presenting cheques for encashment.

                              Issue 3: Addition of Rs. 17,92,880/- to income
                              The Tribunal observed that the assessing officer made the disallowance based on the appellant's son's involvement in presenting cheques for purchases. The Tribunal noted that a similar addition was made in the son's assessment. Given the related party transaction and pending appeal in the son's case, the Tribunal refrained from making any observation on the transaction conducted through the impugned bank accounts.

                              Issue 4: Reopening of the case under Section 147
                              The case was reopened under Section 147, with the Assessing Officer recording reasons for treating certain suppliers as fabricated/bogus. The appellant contended that the case of the supplier, who was the appellant's son, was also reopened, leading to a double addition of the same transaction. The Tribunal acknowledged the related party transaction but refrained from commenting on it pending adjudication.

                              Issue 5: Disallowance of purchases made from unregistered dealers
                              The assessing officer disallowed purchases made from unregistered dealers, suspecting fictitious suppliers. The NFAC upheld the disallowance, considering the involvement of the appellant's son in presenting cheques for such transactions. The Tribunal partially allowed the appeal, adjusting the net profit ratio to 6% of turnover instead of the declared 3.98%.

                              In conclusion, the Tribunal partly allowed the appeal, considering the related party transactions, the delay in filing, and the disallowance of purchases made from unregistered dealers.
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                              ActsIncome Tax
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