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6 results for “bogus purchases”+ Section 69clear

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Key Topics

Section 143(3)12Section 26310Section 1486Section 153A6Addition to Income6Section 115B3Section 692Section 69A2Section 1472Unexplained Money

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

69. No protective assessment was made in the case of persons in whose names properties were purchased. Purchase of the properties was duly disclosed in the account of M/s Kamlesh Kumar Singh (HUF) submitted before Ld. A.O. The Return filed by M/s Kamlesh Kumar Singh (HUF) stands accepted. (4) For that Ld. CIT(A) confused regarding the stamp duty valuation

2
Cash Deposit2
Revision u/s 2632

ACIT, C.C.-1, RANCHI vs. M/S CHINTPURNI STEEL PVT. LTD.,, RANCHI

In the result, appeal of the revenue is dismissed

ITA 32/RAN/2020[2013-14]Status: DisposedITAT Ranchi06 Nov 2023AY 2013-14

Bench: Shri Rajesh Kumar & Shri Sonjoy Sarma]

Section 143(3)Section 69A

purchase of steel scraps. Accordingly the AO came to the conclusion that the money received from Shree Mahalaxmi Steels is bogus and is accommodation entry and accordingly the same was added to the income of the assessee in the assessment framed u/s 143(3) of the Act dated 4.3.2016. 4. In the appellate proceedings, the Ld. CIT(A), after discussing

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

69 of the Income Tax Act, 1961. The Appellant was unable to offer his explanation before the Ld. Assessing Officer due to non compliance caused by some unavoidable reasons." 2. Facts of the case, in brief, are that the appellant is a proprietor of M/s Ranjeet Fuel Centre, Lalpania, Bokaro, a retail outlet of petroleum products of Hindustan petroleum Corporation

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

69,680.\n3.\nAggrieved by the above order the assessee went in appeal where the\nld. CIT(A) dismissed the appeal and sustained the reassessment as well\nas additions.\n4.\nDissatisfied with the above order the assessee is in appeal before\nthis tribunal, the assessee contended that notice under section 148,\nthough dated 31.03.2018, was never served within the period

M/S. SRIRAM POWER & STEEL PVT. LTD.,,RAMGARH vs. PR. CIT(C), PATNA, PATNA

In the result, both the appeals of the assessee are allowed

ITA 20/RAN/2021[2010-11]Status: DisposedITAT Ranchi31 Mar 2023AY 2010-11

Bench: Shri Rajesh Kumar & Shri Sonjoy Sarma]

Section 132(1)Section 143(2)Section 143(3)Section 153ASection 263

bogus share application money and share premium from the said two companies as per the facts available on the assessment record. According to Ld. PCIT, the AO has failed to examine the investment and issue of share capital and share premium and thus has not verified the identity, creditworthiness of the investors and genuineness of the transactions which has rendered

M/S. SRIRAM POWER & STEEL PVT. LTD.,,RAMGARH vs. PR. CIT(C), PATNA, PATNA

In the result, both the appeals of the assessee are allowed

ITA 21/RAN/2021[2011-12]Status: DisposedITAT Ranchi31 Mar 2023AY 2011-12

Bench: Shri Rajesh Kumar & Shri Sonjoy Sarma]

Section 132(1)Section 143(2)Section 143(3)Section 153ASection 263

bogus share application money and share premium from the said two companies as per the facts available on the assessment record. According to Ld. PCIT, the AO has failed to examine the investment and issue of share capital and share premium and thus has not verified the identity, creditworthiness of the investors and genuineness of the transactions which has rendered