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Lime Fresh Properties Pvt. Ltd. vs. I.T.O., Ward - 3(1)

Case No: ITA No.1822/KOL/2024
Court: INCOME TAX APPELLATE TRIBUNAL “C” BENCH, KOLKATA
Date: 3/25/2025

Parties Involved

appellantLime Fresh Properties Pvt. Ltd.
respondentI.T.O., Ward - 3(1)

Facts Summary

The assessee, Lime Fresh Properties Pvt. Ltd., filed its return of income on 29.09.2012, declaring a total income of ₹2,62,465/-. The case was selected for scrutiny, and various notices and questionnaires were issued by the Assessing Officer (AO). The assessee provided all the required evidence and details during the assessment proceedings. However, the AO disregarded these submissions and made an addition of ₹69 lacs on account of unexplained cash credit in respect of share capital and share premium. In the appellate proceedings, the Commissioner of Income Tax (Appeals) [CIT(A)] upheld the AO's order without considering the assessee's replies and evidences. The assessee then approached the Income Tax Appellate Tribunal (ITAT) with the contention that the addition was unjustified as the money was raised from related entities for genuine reasons.

Decision in favour of

Assessee

Legal Issues

  • 1. Confirmation of addition of ₹69 lacs by the ld. CIT (A) as made by the ld. AO on account of unexplained cash credit u/s 68 of the Act.

Judgment Outcome

Decided in favour of Assessee.

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