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8 results for “bogus purchases”+ Section 147clear

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Key Topics

Section 14811Section 1479Section 10(38)9Addition to Income8Section 143(3)7Section 2506Section 153A4Reassessment4Section 115B3Reopening of Assessment

BADRINATH SALES PRIVATE LIMITED,ADITYAPUR, WEST SINGHBHUM vs. DCIT/ACIT CIRCLE 1 JSR, JAMSHEDPUR

In the result, the appeal of the assessee is allowed

ITA 414/RAN/2025[2011-12]Status: DisposedITAT Ranchi13 Feb 2026AY 2011-12
Section 131Section 133ASection 143(3)Section 145(3)Section 147Section 148Section 250

147 of the Act.\n1.2.7 From the above para it can be clearly observed that the reason\nsupplied is not based on a single shred of evidence. Rather it is\nbiased on the fact that there was survey (against which no\naddition was made.) and simply relies on allegation which have\nbeen proved to be wrong the assessment proceeding corresponding

3
Section 692
Limitation/Time-bar2

KULDIP SINGH,RANCHI vs. DCIT/ACIT, CIRCLE-1, RANCHI

In the result, the appeal of the assessee is allowed

ITA 180/RAN/2025[14-15]Status: DisposedITAT Ranchi10 Feb 2026

Bench: Shri Sonjoy Sarma & Shri Ratnesh Nandan Sahayi.T.A. No.180/Ran/2025 Assessment Year: 2014-15 Kuldip Singh…………………….……….……...................……….……Appellant The Avenue Vishnupuri Marg, Upper Burdwan Compound, Lalpur, Ranchi- 834001. [Pan: Agjps6921P] Vs. Dcit/Acit, Circle-1, Ranchi…...…..….........……........……...…..…..Respondent Appearances By: Shri Devesh Poddar, Adv., Appeared On Behalf Of The Appellant. Shri Kailash Gautam, Dr, Appeared On Behalf Of The Respondent. Date Of Concluding The Hearing : February 05, 2026 Date Of Pronouncing The Order : February 10, 2026 Order Per Sonjoy Sarma: This Appeal Filed By The Assessee Is Directed Against The Order Of The Nfac, Delhi (Hereinafter Referred To As “Cit(A)”) Dated 06.03.2025 Passed Under Section 250 Of The Income-Tax Act, 1961 (Hereinafter Referred To As The “Act”).

Section 143(2)Section 143(3)Section 147Section 148Section 250Section 56(2)(vii)

purchased land measuring 0.67 acre for a consideration of ₹42,30,000, whereas the stamp duty valuation was ₹1,20,02,000, and the difference of ₹77,72,000 was treated as income. 3. Before the learned CIT(A), the assessee raised specific legal grounds, challenging the validity of reopening under section 147, as well as grounds on merits. However

RAJENDER SHANGARI,JAMSHEDPUR vs. DCIT - CIRCLE 1, JAMSHEDPUR

In the result, the appeal of the assessee is allowed

ITA 266/RAN/2023[2018-19]Status: DisposedITAT Ranchi15 Jul 2025AY 2018-19

Bench: Shri Sonjoy Sarma & Shri Ratnesh Nandan Sahayi.T.A. No.266/Ran/2023 Assessment Year: 2018-19 Rajendra Shangari, Jamshedpur.................…...........................……….……Appellant Plot 9, Bhuiyadih, Agrico, Jamshedpur – 831009. [Pan: Alcps6310F] Vs. Dcit, Circle-1, Jamshedpur.....…..….…..….........……........……...…..…..Respondent Appearances By: Shri Akshay Ringasia, Ar, Appeared On Behalf Of The Appellant. Shri Vinod Agarwal, Cit-Dr, Appeared On Behalf Of The Respondent. Date Of Concluding The Hearing : July 09, 2025 Date Of Pronouncing The Order : July 15, 2025 Order Per Sonjoy Sarma: The Present Appeal Has Been Preferred By The Assessee Against An Order Dated 16.11.2023 Of The National Faceless Appeal Centre [Hereinafter Referred To As ‘Cit(A)’] Passed U/S 250 Of The Income Tax Act (Hereinafter Referred To As The ‘Act’). 2. Brief Facts Of The Case Are That The Assessee Is An Individual Who Is Engaged In Contractual Jobs To Tata Steel & State Government Wherein The Final Job Is Subject To Strict Scrutiny By Officials & Government Inspectors & Filed Return Of Income Declaring An Income Of Rs.2,58,20,920/- For The Assessment Year 2018-19. Subsequently, In The Case Of The Assessee, The Assessing Officer Invoked Section 148 Proceedings & Completed The Assessment U/S 147 R.W.S. 144B Of The Act By Adding An Amount Of Rs.38,46,188/- To The Income Of The Assessee Stating That The Alleged Sum Was Bogus Purchase. 3. Dissatisfied With The Above Order, The Assessee Preferred An Appeal Before The Ld. Cit(A) Against The Reassessment Order, Where The Ld. Cit(A)

Section 147Section 148Section 250

section 148 proceedings and completed the assessment u/s 147 r.w.s. 144B of the Act by adding an amount of Rs.38,46,188/- to the income of the assessee stating that the alleged sum was bogus purchase

SMT SAROJ AGARWAL,RANCHI vs. ACIT CENTRAL CIRCLE-1, RANCHI

In the result, all the captioned appeals of the assessee are\nallowed

ITA 81/RAN/2023[2012-13]Status: DisposedITAT Ranchi01 May 2025AY 2012-13
For Respondent: Shri Shadab Ahmed, CIT, DR
Section 10(38)Section 147Section 153ASection 250

bogus. It was the submission that the reopening of the\nassessment itself in the case of the assessee would now be questionable in\nthe case before us and is debatable issue. It was also the submission that\nthe Hon'ble jurisdictional High Court at Ranchi in the case of Arun Kumar\nAgarwal in TA No. 04 of 2011 vide order

SMT. SAROJ AGARWAL,RANCHI vs. ACIT, CENTRAL CIRCLE-1, RANCHI

In the result, all the captioned appeals of the assessee are\nallowed

ITA 82/RAN/2023[2013-14]Status: DisposedITAT Ranchi01 May 2025AY 2013-14
Section 10(38)Section 147Section 153ASection 250

bogus. It was the submission that the reopening of the\nassessment itself in the case of the assessee would now be questionable in\nthe case before us and is debatable issue. It was also the submission that\nthe Hon'ble jurisdictional High Court at Ranchi in the case of Arun Kumar\nAgarwal in TA No. 04 of 2011 vide order

RANJIT PRASAD SAHU,BOKARO vs. ASSISTANT COMMISSIONER OF INCOME TAX, HAZARIBAGH

In the result, grounds of appeal raised by the assessee are allowed

ITA 312/RAN/2024[2017-18]Status: DisposedITAT Ranchi05 May 2025AY 2017-18

Bench: Shri George Mathan & Shri Ratnesh Nandan Sahay(Virtual Hearing) Ranjit Prasad Sahu, A.C.I.T., Hosir, P.O. Lalpania, Dist.- Hazaribagh. Vs. Bokaro-829149 (Jharkhand) Pan No. Akkpk 9351 J Appellant/ Assessee Respondent/ Revenue

Section 115BSection 142(1)Section 147Section 271ASection 69Section 69A

Section 147 r.w.s. 144 of the Act. 3. Aggrieved by the order of Assessing Officer, the assessee filed appeal before the ld. CIT(A). The ld. CIT(A) vide the impugned order, confirmed the order of Assessing Officer on the ground that, though, the appellant had given the details of monthwise cash deposits in different bank accounts made during

BIJOY KUMAR AGARWAL,RANCHI vs. ACIT/DCIT CENTRAL CIRCLE-1, RANCHI

In the result, the appeal of the assessee is allowed

ITA 310/RAN/2025[11-12]Status: DisposedITAT Ranchi06 Jan 2026

Bench: Shri Sonjoy Sarmaandshri Ratnesh Nandan Sahay, Accountantmember

Section 133(6)Section 143(2)Section 147Section 148Section 250

147 of the Income-tax Act, 1961 on the basis of information received through a list forwarded from the PMO/Investigation Wing, alleging that certain beneficiaries had earned bogus LTCG through penny stock I.T.A. No.310/Ran/2025 Bijoy Kumar Agarwal transactions, including transactions in the scrip of Global Capital Market Ltd. Notice under section 148 was issued, in response to which the assessee

SRI KAMLESH KUMAR SINGH,DALTONGANJ vs. ACIT,CIR-1, RANCHI

ITA 53/RAN/2017[2008-09]Status: DisposedITAT Ranchi07 Aug 2023AY 2008-09

Bench: Shri Sanjay Garg & Dr. Manish Boradi.T.A. No. 49/Ran/2017 Assessment Year: 2009-2010 Smt. Madhu Singh,...................................Appellant Hamidganj, Daltonganj-822101 [Pan: Bbjps0426B] -Vs.- Assistant Commissioner Of Income Tax,....Respondent Circle-1, Ranchi & I.T.A. Nos. 53 & 54/Ran/2017 Assessment Years: 2008-2009 & 2009-2010 Shri Kamlesh Kumar Singh,...................Appellant Hamidganj, Daltonganj-822101 [Pan: Afzps8288J] -Vs.- Assistant Commissioner Of Income Tax,....Respondent Circle-1, Ranchi Appearances By: Shri Devesh Poddar, Advocate, Appeared On Behalf Of The Assessee Shri P.K. Koley, Sr. D.R., Appeared On Behalf Of The Revenue Date Of Concluding The Hearing : May 22, 2023 Date Of Pronouncing The Order : August 7Th, 2023 1 Assessment Year: 2009-2010 Smt. Madhu Singh & Ita Nos. 53 & 54/Ran/2017 Assessment Years: 2008-2009 & 2009-2010 Shri Kamlesh Kr. Singh

Section 10(38)Section 143(3)Section 234A

purchasers were already disclosed in the Balance Sheet of the assesses, then from any angle, it is proved that the assessees had held the shares much prior to 12 months of the sale of the shares. Hence, these Appeals are dismissed”. 13. Similar view was also taken by the Hon’ble Delhi High Court in the case of PCIT