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DCIT, Kolkata Vs. M/s. New Charan Kanwal Finance Company Pvt. Ltd.

Case No: I.T.A. No.: 434/KOL/2025
Court: Income Tax Appellate Tribunal, Kolkata ‘SMC’ Bench, Kolkata
Date: 11/17/2025

Parties Involved

RespondentDCIT, Kolkata
AppellantM/s. New Charan Kanwal Finance Company Pvt. Ltd.

Facts Summary

The assessee, M/s. New Charan Kanwal Finance Company Pvt. Ltd., filed its return of income for Assessment Year 2019-20 declaring an income of ₹19,73,910/-. A search and seizure operation was conducted on Balaji Group, leading to the issuance of a notice u/s 153A of the Income Tax Act. The Assessing Officer assessed the income of the assessee at ₹44,73,910/- and added ₹25,00,000/- as unexplained cash credit u/s 68 of the Act. The assessee appealed before the Commissioner of Income Tax (Appeals) w

Decision in favour of

Assessee

Legal Issues

  • 1. Whether the CIT(A) was correct in deleting the addition of Rs. 25,00,000/- as unexplained cash credit.
  • 2. Whether the CIT(A) erred in ignoring the assessee's admission of receipt of Rs. 25,00,000/- as an unsecured loan.

3 more legal issues analysed in this judgement.

Precedents Relied Upon

2 precedents cited in this judgement.

Judgment Outcome

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