No Substantial Question of Law Arises From ITAT’s Factual Analysis: Delhi High Court Upholds Dismissal of Appeals in Bogus Share Capital and Unexplained Cash Transactions Case

Share:
tribunal notice bharat College Eviction full Bail Rape RTI Colgate National jurisdiction Bail System Bail Daughter POCSO Transactions Bail tribunal Awards section 8 Disability Statement IAS Child Statement Evidence Parole Equality evidence Divorce Rape Rape Trademark evidence marriage gst Property Merit Answer Key Divorce constitutional Harassment ListCross-Examination Termination Law Law Landlord bail Bail evidence Pregnancy University bank gst bail eviction eviction documents circumstances applicationTenant' Officer business 34 Bail Tax sexual Armed Forces investments service legal child rape property smart jurisdiction property jurisdiction power jurisdiction Absence domain violation Allegations property examination evidence criminal family Notices train principle tax bail club judicial education 148 land dv worldwide property olympics bail trademark

In a significant ruling dated May 2, 2024, the Delhi High Court dismissed multiple appeals filed by the Principal Commissioner of Income Tax against M/s GTM Builder and Promoters Pvt. Ltd. And its associated entities. The appeals under scrutiny pertained to the alleged bogus share application money, unexplained cash transactions, and investments related to real estate and cooperative societies.

Legal Point of the Judgment

The court determined that the Income Tax Appellate Tribunal (ITAT) had adequately addressed the factual intricacies of the case, resulting in a dismissal of the appeals as no substantial questions of law were provoked.

Facts and Issues of the Case

The heart of the contention involved questions over the authenticity and creditworthiness of share application money amounting to over Rs. 5 crores, as well as unexplained cash payments in real estate transactions and investments in cooperative societies. The ITAT’s detailed analysis led to the deletion of additions made by the Assessing Officer (AO) under various sections of the Income Tax Act.

Detailed Court Assessment

On Bogus Share Application Money:

The ITAT, supported by documentary evidence regarding the identity, genuineness, and creditworthiness of the share subscribers, negated the AO’s additions. The High Court noted, “The ITAT’s findings on the lack of corroborative evidence support the additions under the Income Tax Act.”

On Unexplained Cash Transactions in Real Estate:

The High Court concurred with the ITAT that the AO had not substantiated claims of unexplained cash payments. The Tribunal had found that no corroborative material was presented to back the AO’s assertions.

On Investments in Cooperative Societies:

Allegations of undisclosed income from transactions involving cooperative societies were dismissed by the ITAT, which found no substantial evidence linking cash payments to the respondents. The High Court endorsed this view, emphasizing the Tribunal’s dismissal of the Revenue’s theoretical presumptions.

Decision of the Judgment

The High Court affirmed the ITAT’s decision, concluding that the Tribunal’s conclusions were based on a comprehensive factual analysis and a correct application of the law, leaving no room for substantial legal questions.

 Date of Decision: May 2, 2024

Principal Commissioner of Income Tax (Central) – 3 Vs. M/s GTM Builder and Promoters Pvt. Ltd., Sh. Tushar Kumar, Sargam Estates Pvt. Ltd

Download Judgment

Share: