Appeal allowed; impugned order quashed as regulator failed to prove nexus or manipulative scheme; sale genuine - s.12A(a)-(c), Regs 3(a)-(d),4(1),4(2)...
Appellant's ring-back tone service held OIDAR, taxable domestically for 01.07.2012-31.07.2016; liability confirmed, penalties vacated, remanded for re...
The ITAT dismissed the Revenue's appeal challenging deletion of additions on account of alleged bogus purchases of raw boneless meat and round tripping of funds. The assessee demonstrated that its factory premises had been leased to a third-party company, with rent payments and ledger entries substantiating that no manufacturing or trading activities were carried out by it during the relevant period. The Tribunal held that the AO had proceeded on an incorrect factual premise and that the CIT(A) had correctly appreciated the factual matrix in deleting the addition.
The ITAT dismissed the Revenue's appeal challenging deletion of additions on account of alleged bogus purchases of raw boneless meat and round tripping of funds. The assessee demonstrated that its factory premises had been leased to a third-party company, with rent payments and ledger entries substantiating that no manufacturing or trading activities were carried out by it during the relevant period. The Tribunal held that the AO had proceeded on an incorrect factual premise and that the CIT(A) had correctly appreciated the factual matrix in deleting the addition.
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