Income Tax Appellate Tribunal, Rajkot Bench, Rajkot
Parties Involved
Facts Summary
The assessee, Manoj Mohan Prajapati, filed his income return for the assessment year 2019-20 declaring a total income of Rs. 3,35,470/-. Information was received by the Assessing Officer pursuant to a search and seizure action conducted under section 132 of the Income-tax Act, 1961, in the case of a group, during which certain incriminating documents pertaining to the project 'Pragati Shopping Centre' were found. These documents contained details of alleged cash transactions/receipts by the developer. Based on this information, the assessment proceedings in the case of the assessee were reopened under section 147 of the Act. The Assessing Officer observed that the assessee had allegedly made a cash payment of Rs.1,60,000/- towards the purchase of Shop No. FF-16 on the first floor of the project 'Pragati Shopping Centre' during the relevant previous year. The Assessing Officer treated this alleged cash payment as unexplained investment under section 69 of the Act and made an addition of the said amount to the returned income.…
Decision in favour of
Assessee
Legal Issues
- 1. Whether the addition made by the Assessing Officer was justified in law.
Judgment Outcome
Decided in favour of Assessee.
Similar Judgements
Babulal Mulchand Varma Vs. Asst. CIT Central Circle-4(3)
Mumbai Bench benchAY 2009-10 & 2010-11AllowedZenith Portfolio and Insurance Advisors Pvt. Ltd Vs. DCIT
Delhi Bench benchAY 2013-14 to 2015-16Partly AllowedNitish Jain Vs Income Tax Officer, Ward-54(1), New Delhi-110002
Shri Dheeraj Chaudhary vs The A.C.I.T.
Delhi ‘F’ Bench benchAY 2015-16Partly AllowedGanpat Harishchandra Purohit Vs. DCIT Central Circle 4(2), Mumbai-400051
Abhisar Estates P. Ltd. Vs. Deputy Commissioner of Income Tax
Delhi Bench benchAY 2017-18Allowed