Facts
The case involves 31 appeals under Sections 153C, 153A, and 143(3) of the Income Tax Act, 1961, arising from a Section 132 search action dated 17.12.2015. Proceedings under Section 153C were initiated against four assessees based on alleged incriminating material found during the search, with different assessing authorities recording satisfactions.
Held
The tribunal ruled that for "unabated" assessment years, additions must be strictly based on incriminating material found/seized during the search, citing the Supreme Court decision in PCIT Vs. Abhisar Buildwell Pvt. Ltd. It found that the lower authorities failed to make additions based on such material and invalidated the assessments due to improper common Section 153D approvals granted without specific examination of each assessment year and assessee.
Key Issues
Whether additions in search assessments for unabated years can be made without incriminating material and the validity of Section 153D approvals granted without specific examination for each assessment year.
Sections Cited
153C, 153A, 143(3), 132, 153D, 153C(1) (1st Proviso)
AI-generated summary — verify with the full judgment below
Income Tax Appellate Tribunal, DELHI BENCH ‘A’, NEW DELHI
Before: Sh. Satbeer Singh GodaraSh. M. Balaganesh
ORDER Per Bench: The instant batch of thirty one appeals pertains to four assessees namely Sh. Arvind Kumar Jain, Ms. Jaya Jain, M/s Star Educational Books Distributor Pvt. Ltd. and STM Trader Pvt. Ltd. All other relevant details thereof stand tabulated as under:
Respondent A.Y. Order passed against No. 1. 1373/Del/2020 Arvind Kumar ACIT 2012-13 CIT(A)-31, Appeal No. Jain 298/19-20/345/18-19 dated 11.02.2019 2. 1374/Del/2020 Arvind Kumar ACIT 2013-14 CIT(A)-31, Appeal No. Jain 299/19-20/346/18-19 dated 11.02.2019 3. 1375/Del/2020 Arvind Kumar ACIT 2014-15 CIT(A)-31, Appeal No. Jain 300/19-20/347/18-19 dated 11.02.2019 4. 1376/Del/2020 Arvind Kumar ACIT 2015-16 CIT(A)-31, Appeal No. Jain 301/19-20/348/18-19 dated 11.02.2019 5. 1377/Del/2020 Arvind Kumar ACIT 2016-17 CIT(A)-31, Appeal No. Jain 302/19-20/349/18-19 dated ....08.2020 to 1389, 1523 to 1534, 1701 & 1702/Del/2020 Arvind K. Jain, Jaya Jain, Star Edu. Book Distri. Pvt. Ltd. And STM Traders Pvt. Ltd. . 6. 1701/Del/2020 Arvind Kumar ACIT 2012-13 CIT(A)-31, Appeal No. Jain 298/19-20/346/18-19 dated 11.02.2019 7. 1524/Del/2020 DCIT Arvind 2012-13 CIT(A)-31, Appeal No. Kumar Jain 298/19-20/345/18-19 dated 11.02.2020 8. 1525/Del/2020 DCIT Arvind 2013-14 CIT(A)-31, Appeal No. Kumar Jain 299/19-20/346/18-19 dated 11.02.2020 9. 1526/Del/2020 DCIT Arvind 2014-15 CIT(A)-31, Appeal No. Kumar Jain 300/19-20/347/18-19 dated 11.02.2020 10. 1527/Del/2020 DCIT Arvind 2015-16 CIT(A)-31, Appeal No. Kumar Jain 301/19-20/348/18-19 dated 14.02.2020 11. 1528/Del/2020 DCIT Arvind 2016-17 CIT(A)-31, Appeal No. Kumar Jain 302/19-20/349/18-19 dated 11.02.2019 12. 1378/Del/2020 Ms. Jaya Jain ACIT 2012-13 CIT(A)-29, Appeal No. 359/18-19 dated 11.02.2020 13. 1379/Del/2020 Ms. Jaya Jain ACIT 2013-14 CIT(A)-29, Appeal No. 360/18-19 dated 11.02.2020 14. 1380/Del/2020 Ms. Jaya Jain ACIT 2014-15 CIT(A)-29, Appeal No. 361/18-19 dated 11.02.2020 15. 1381/Del/2020 Ms. Jaya Jain ACIT 2015-16 CIT(A)-29, Appeal No. 362/18-19 dated 11.02.2020 16. 1382/Del/2020 Ms. Jaya Jain ACIT 2016-17 CIT(A)-29, Appeal No. 363/18-19 dated 11.02.2020 17. 1383/Del/2020 Ms. Jaya Jain ACIT 2017-18 CIT(A)-29, Appeal No. 364/18-19 dated 11.02.2020 18. 1702/Del/2020 Ms. Jaya Jain ACIT 2017-18 CIT(A)-29, Appeal No. 363/18-19 dated ….08.2020 19. 1529/Del/2020 DCIT Ms. Jaya 2013-14 CIT(A)-29, Jain Appeal No. 360/18-19 dated 11.02.2020 20. 1529/Del/2020 DCIT Ms. Jaya 2014-15 CIT(A)-29, Jain Appeal No. 361/18-19 dated 11.02.2020 21. 1529/Del/2020 DCIT Ms. Jaya 2015-16 CIT(A)-29, Jain Appeal No. 362/18-19 dated 11.02.2020 22. 1384/Del/2020 M/s Star ACIT 2012-13 CIT(A)-29, Educational Appeal No. 353/18-19 Books dated 11.02.2020 Distributor Pvt. Ltd. 23. 1385/Del/2020 M/s Star ACIT 2014-15 CIT(A)-29, to 1389, 1523 to 1534, 1701 & 1702/Del/2020 Arvind K. Jain, Jaya Jain, Star Edu. Book Distri. Pvt. Ltd. And STM Traders Pvt. Ltd. . Educational Appeal No. 354/18-19 Books dated 11.02.2020 Distributor Pvt. Ltd. 24. 1386/Del/2020 M/s Star ACIT 2015-16 CIT(A)-29, Educational Appeal No. 355/18-19 Books dated 11.02.2020 Distributor Pvt. Ltd. 25. 1387/Del/2020 M/s Star ACIT 2016-17 CIT(A)-29, Educational Appeal No. 370/18-19 Books dated 11.02.2020 Distributor Pvt. Ltd. 26. 1532/Del/2020 DCIT M/s Star 2012-13 CIT(A)-29, Educational Appeal No. 353/18-19 Books dated 11.02.2020 Distributor Pvt. Ltd. DCIT 27. 1533/Del/2020 M/s Star 2014-15 CIT(A)-29, Educational Appeal No. 354/18-19 Books dated 11.02.2020 Distributor Pvt. Ltd. DCIT 28. 1534/Del/2020 M/s Star 2015-16 CIT(A)-29, Educational Appeal No. 355/18-19 Books dated 11.02.2020 Distributor Pvt. Ltd. 29. 1388/Del/2020 STM Traders ACIT 2012-13 CIT(A)-29, Pvt. Ltd. Appeal No. 350/18-19 dated 11.02.2020 30. 1389/Del/2020 STM Traders ACIT 2014-15 CIT(A)-29, Pvt. Ltd. Appeal No. 352/18-19 dated 11.02.2020 31. 1523/Del/2020 DCIT STM Traders 2012-13 CIT(A)-29, Pvt. Ltd. Appeal No. 350/18-19 dated 11.02.2020 We are informed that relevant proceedings in all these thirty one cases are u/s 153C r.w.s. 153A r.w.s. 143(3) of the Income Tax Act, 1961 (in short “the Act”).
Heard all the assessee represented by Sh. Salil Agarwal, Sr. Adv., Sh. Shailesh Guipta, Sh. Uma Shankar, Sh. Madhur Agarwal & Sh. Mahir Agarwal, Advocates and Sh. Javed Akhtar to 1389, 1523 to 1534, 1701 & 1702/Del/2020 Arvind K. Jain, Jaya Jain, Star Edu. Book Distri. Pvt. Ltd. And STM Traders Pvt. Ltd. . (CIT-DR) with Sh. Poojan Rana (Sr. DR) at length. Case was perused.
It transpires during the course of hearing that all the instant thirty one appeals, involving Section 153C r.w.s. 153A r.w.s. 143(3) proceedings, emanate from the department’s section 132 search action dated 17.12.2015 carried out in Sh. Anand Kumar Jain, Sh. Naresh Kumar Jain and Others cases. We further informed by both the parties that the learned lower authorities thereafter initiated u/s 153C proceedings against these four assessee’s based on the alleged incriminating material AJ and AJ-1, found/seized during the course of the said search. It is further noticed that the learned assessing authority of the said search assessee’s and these four taxpayers happened to be different ones who recorded their respective satisfactions u/s 153C of the Act.
Next come the twin fundamental issues between the parties i.e. validity of all the impugned assessments since not confirming to the settled law that the corresponding additions have to be based on the incriminating material found/seized during the course of search as well as for want of valid section 153D approvals to be obtained from the prescribed authority in these appeals.
There could be hardly any dispute between the parties as per the relevant facts emerging from the case files that the corresponding satisfaction(s) had been recorded in the “lead” case 29.12.2017 and therefore, all to 1389, 1523 to 1534, 1701 & 1702/Del/2020 Arvind K. Jain, Jaya Jain, Star Edu. Book Distri. Pvt. Ltd. And STM Traders Pvt. Ltd. . the relevant assessment years in his case happen to be “unabated” ones right up to A.Y. 2016-17 since no proceedings could be stated to be pending as on the date of the foregoing satisfaction as per u/s 153C(1) (1st Proviso) as the date of search in such an instance has to be construe as that of receiving the books of account or documents or assets seized or requisitioned by the Assessing Officer having jurisdiction in case of such other person. We thus, construed the date of search in the instant “lead” case as that of the cognizance taken by Sh. Jain’s Assessing Officer while recording satisfaction on 29.12.2017 and therefore, all assessment years involved in his case A.Y. 2012-13 to A.Y. 2016-17 are “unabated”. Hon’ble apex court recent landmark decision in PCIT vs. Abhisar Buildwell Pvt. Ltd. (2023) 454 ITR 212 has admittedly settled the issue in assessee’s favour and against the department that any addition in course of a search assessment involving an unabated assessment year must be based on the incriminating/seized material only.
We keep in mind this settled legal proposition and proceed to deal with the relevant facts in assessee Sh. Arvind Kumar Jain “lead” case . A perusal of the case file suggests that although the learned Assessing Officer had assumed jurisdiction on the basis of the seized material AJ and AJ-1, it is however evident from his detailed discussion at pages 14 & 15 in paragraphs 12 & 13 that he ended up adding net of bogus purchases/sales amounting to Rs.1,91,27,082/- representing the difference between payments made of to 1389, 1523 to 1534, 1701 & 1702/Del/2020 Arvind K. Jain, Jaya Jain, Star Edu. Book Distri. Pvt. Ltd. And STM Traders Pvt. Ltd. . Rs.3,82,27,082/- and receipts of Rs.1,91,00,000/-, in the relevant previous year.
When we pointed out this clinching fact to the department, learned CIT-DR vehemently argued that the same is based on Sh. Anand Kumar Jain statement recorded on 17.12.2013. The assessee at this stage submits that first of all such a statement; so that in search or survey, hardly carries any evidentiary value as per the CBDT’s landmark circulars issued on 10.03.2003 as reiterated on 18.12.2014. Coupled with this, learned Sr. counsel clarifies that once the Assessing Officer ended up in only netting the corresponding sales/purchases which never formed part of any incriminating material, such an assessment itself is not sustainable.
We find merit in the assessee’s instant first and foremost legal ground since the learned lower authorities have failed to make any addition in his hands based on the relevant seized material during the course of search in question in light of Abhisar Buildwell Pvt. Ltd. (supra) as all these are “unabated” assessment only.
Coupled with this, we are of the considered view that the assessee’s latter legal plea challenging validity of the impugned assessment once again for want of Section 153D valid approval(s) also deserves to be accepted. This is for the precise reason that Mr. Agarwal has taken us to the assessee’s paper book-III pages 1 to 4 wherein the learned Additional Commissioner, Central Range-7, New Delhi had not only granted to 1389, 1523 to 1534, 1701 & 1702/Del/2020 Arvind K. Jain, Jaya Jain, Star Edu. Book Distri. Pvt. Ltd. And STM Traders Pvt. Ltd. . his assessee wise common approval but also he had not examined the earlier case records, which had never been sent to him. Learned counsel invited our attention to various judicial precedent i.e. PCIT Vs. Shiv Kumar Nayyar (163 taxmann.com 9), PCIT Vs. Anuj Bansal (165 taxmann.com 2), PCIT Vs. Sapna Gupta (147 taxmann.com 288) and ACIT Vs. Serajuddin & Co (454 ITR 312) to buttress the point that such Section 153D approval is not a mere mechanical exercise.
Learned CIT-DR, on the other hand, submits that there is no provision in the Act which prescribing any approval to be granted in a particular manner. And that even if a combined approval is granted assessee wise qua all the relevant corresponding assessment year, it could not be held as bad in law.
We find no merit in the Revenue’s foregoing objections once it has come on record that the learned Additional CIT’s corresponding four approvals had not been granted after examining the entire assessment records and that too, separately for each and every assessment year, as per the foregoing case laws. We thus, accept the assessees instant Section 153D approval ground as well in very terms. This lead appeal as well as all other assessee’s identical appeals succeed on the instant twin legal issues and therefore, the corresponding assessments herein forming subject matter thereof are hereby quashed. to 1389, 1523 to 1534, 1701 & 1702/Del/2020 Arvind K. Jain, Jaya Jain, Star Edu. Book Distri. Pvt. Ltd. And STM Traders Pvt. Ltd. . 11.1 All other pleading on merits in the instant thirty one appeals stand rendered academic.
To sum up, these four assessee’s nineteen appeals i.e. Sh. Arvind Kumar Jain’s cases to 1377, 1701/Del/2020, second assessee Ms. Jaya Jain’s appeal to 1383 & 1702/Del/2020, third assessee M/s Star Educational Books Distributor Pvt. Ltd.’s four cases i.e. ITA Nos. 1384 to 1387/Del/2020 and last assessee M/s STM Trader Pvt. Ltd.’s twin appeals ITA No. 1388 & 1389/Del/2020; respectively are allowed and Revenue’s corresponding 12 appeals hereinabove stand dismissed in above terms. A copy of this common order be placed in the respective case files.
Order Pronounced in the Open Court on 26/11/2024.