The Income Tax Appellate Tribunal Delhi Bench ‘A’, comprising Sh. N. K. Billaiya, Accountant Member, and Ms. Suchitra Kamble, Judicial Member, delivered a final judgment on August 6, 2019, concerning the appeal filed by Krishna Devi against the Income Tax Officer, Ward-38(3), New Delhi. The appeal, registered under case number ITA 1070/DEL/2019, was regarding an assessment for the fiscal year 2015-16.
During the proceedings, it was revealed that the appellant, Krishna Devi, had been involved in transactions related to shares of various companies, which were scrutinized by the Income Tax Department. The focus was on whether the long-term capital gains claimed by Devi were legitimate or resulted from manipulated transactions designed to evade taxes.
The assessing officer heavily relied on an investigation report identifying companies involved in providing bogus long-term capital gains entries. This report suggested that such transactions were used to introduce unaccounted money into the market, benefiting individuals like Krishna Devi.
Both the appellant and respondent presented extensive documentation and testimonies to support their positions. The appellant’s representative argued that all transactions were conducted through legitimate banking channels, and all shares were dematerialized and sold through recognized stock exchanges. However, the assessing officer contested these claims, labeling the transactions as sham and designed to launder money.
The tribunal reviewed all evidence and testimonies, focusing on the genuineness of the transactions and the compliance with legal statutes. After careful consideration, the tribunal concluded that the transactions in question were not fictitious. They noted that the shares were indeed purchased and sold via legitimate and recognized platforms, and all financial dealings were appropriately recorded in banking statements.
The final judgment overturned the initial assessments and ruled in favor of Krishna Devi, allowing her claim of long-term capital gains and dropping all charges of tax evasion.
This case sets a significant precedent for similar cases where the authenticity of financial transactions is questioned. It underscores the importance of maintaining thorough documentation and the benefits of lawful financial conduct.
The decision also highlights the tribunal’s role in ensuring justice and its ability to discern the nuances of complex financial transactions.
ITA 1070/DEL/2019: Krishna Devi vs ITO Ward-38(3) New Delhi – A Detailed Case Analysis
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