Bini Bui lders Pvt. Ltd. vs DCIT
In this landmark ruling by the Mumbai ITAT, the Tribunal reinforced the cardinal principles governing Section 68 additions for share capital. The assessee successfully demonstrated the identity, creditworthiness, and genuineness of transactions through comprehensive documentation, including PANs, IT returns, bank statements, and corporate resolutions. The Tribunal categorically held that the assessee is not required to prove the ‘source of the source’ and that the 2012 proviso to Section 68 lacks retrospective effect. Distinguishing key precedents, the decision underscores that mere suspicion or non-response to notices cannot override concrete evidence. This judgment provides critical clarity for taxpayers facing reassessment based on survey/search actions, emphasizing that procedural reopening under Section 148 is permissible, but substantive additions must be backed by material to dislodge the assessee’s prima facie case.
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