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    <title>ITAT Rules Long-Term Capital Gains from Shares Not Bogus Without Concrete Evidence; Addition u/s 68 Removed.</title>
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    <description>The ITAT held that the assessee&#039;s long-term capital gains (LTCG) from sale of shares could not be treated as bogus or manipulated. The Investigation Wing&#039;s report was generalized, and the AO failed to establish that the assessee&#039;s transactions were part of any price manipulation. The assessee provided evidence of purchase, sale, payment, and demat entries, which were not doubted. The ITAT relied on the Delhi High Court&#039;s decision in PCIT vs. Smt. Krishna Devi, where mere increase in share prices and weak company fundamentals were held insufficient to disbelieve declared capital gains. Consequently, the addition u/s 68 was deleted.</description>
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    <pubDate>Wed, 08 Jan 2025 08:37:22 +0530</pubDate>
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      <title>ITAT Rules Long-Term Capital Gains from Shares Not Bogus Without Concrete Evidence; Addition u/s 68 Removed.</title>
      <link>https://www.taxtmi.com/highlights?id=84674</link>
      <description>The ITAT held that the assessee&#039;s long-term capital gains (LTCG) from sale of shares could not be treated as bogus or manipulated. The Investigation Wing&#039;s report was generalized, and the AO failed to establish that the assessee&#039;s transactions were part of any price manipulation. The assessee provided evidence of purchase, sale, payment, and demat entries, which were not doubted. The ITAT relied on the Delhi High Court&#039;s decision in PCIT vs. Smt. Krishna Devi, where mere increase in share prices and weak company fundamentals were held insufficient to disbelieve declared capital gains. Consequently, the addition u/s 68 was deleted.</description>
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      <pubDate>Wed, 08 Jan 2025 08:37:22 +0530</pubDate>
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