"P a g e | 1 ITA No. 4450/Del/2025 CO No. 163/Del/2025 Smt. Neena Jain (AY: 2017-18) IN THE INCOME TAX APPELLATE TRIBUNAL “A” BENCH, DELHI BEFORE SHRI ANUBHAV SHARMA, JUDICIAL MEMBER & SHRI MANISH AGARWAL, ACCOUNTANT MEMBER ITA No.4450/Del/2025 (Assessment Year: 2017-18) ACIT, CC-25 Room No. 317, 3rd Floor, ARA Centre, Jhandewalan Extension, Delhi – 110055 Vs. Neena Jain 17/71, West Punjabi Bagh, Punjabi Bagh, Delhi – 110026 \u0001थायीलेखासं./जीआइआरसं./PAN/GIR No: AEVPJ4566M Appellant .. Respondent CO. No.163/Del/2025 Arising out of ITA No. 4450/Del/2025 (Assessment Year: 2017-18) Smt. Neena Jain 17/71, West Punjabi Bagh, Delhi – 110026 Vs. ACIT, CC-25 Room No. 317, 3rd Floor, ARA Centre, Jhandewalan Extension, Delhi – 110055 \u0001थायीलेखासं./जीआइआरसं./PAN/GIR No: AEVPJ4566M Appellant .. Respondent Appellant by : Sh. Pawan Ved, Adv. Sh. Mohit Gupta, FCA Sh. Mirza Muhiuddin Baig, CA Printed from counselvise.com P a g e | 2 ITA No. 4450/Del/2025 CO No. 163/Del/2025 Smt. Neena Jain (AY: 2017-18) Respondent by : Sh. Jitender Singh, CIT, DR Date of Hearing 03.02.2026 Date of Pronouncement 20.02.2026 O R D E R PER ANUBHAV SHARMA, JM: This appeal and Cross Objection preferred by the Revenue and the Assessee against the order dated 24.03.2025 of the Ld. CIT(A)-29, New Delhi (hereinafter referred to as the First Appellate Authority or ‘the ld. FAA’ for short) in Appeal No : CIT(A), Delhi-29 10580/2016-17 arising out of the assessment order dated 23.04.2021 u/s 153A r.w.s 143(3) of the Income Tax Act, 1961 (hereinafter referred to as ‘the Act’) passed by the DCIT, CC-25 for AY: 2017-18. 2. At the time of hearing ld. Counsel has pointed out that in the Cross Objection assessee has taken a ground that assessment order passed u/s 153A while the impugned assessment order is based on material seized during the course of search action initiated in case of some third party and not in case of assessee, therefore, the assessment order initiated. Ld. DR has however, relied the impugned order of assessment and has submitted that this ground Printed from counselvise.com P a g e | 3 ITA No. 4450/Del/2025 CO No. 163/Del/2025 Smt. Neena Jain (AY: 2017-18) has not been raised at proper stage before ld. tax authorities below. At the same time ld. Counsel has submitted that the approval granted u/s 153D is mechanical for which also ground in cross objection has been raised which too has been defended by ld. DR by submitting that the approval is a administrative act and otherwise during assessment the Assessing Officer apprised the senior officers of all the questionnaire raised and incriminating material. 3. As with regard to the first ground we find that CIT(A) has dealt with the same in para 6.1 & 6.2 and has given a conclusive findings in para 6.5. Now, before us the ld. DR could not pointed out as to what incriminating material was actually relied by the Assessing Officer which pertain to assessee and which was found during the search on the premises of assessee. In para 3 Assessing Officer mentions that during the course of search operation whereas incriminating material was found and seized from the premises of the assessee and in para 3.1 observes that during the post search proceeding various seized annexures were examined wherein various properties have been found to be in the name of either Sanjay Jain or his family members and various agreement to sale were found involving cash Printed from counselvise.com P a g e | 4 ITA No. 4450/Del/2025 CO No. 163/Del/2025 Smt. Neena Jain (AY: 2017-18) transactions. Assessee was taxed with regard to alleged unaccounted cash received on sale of property. Throughout the assessment order there is no detail as to which premises of the assessee was searched on 06.02.2019. No evidence is on record from the department to show that there was no search warrant in the name of assessee which was executed on 06.02.2019 in which any incriminating evidence was seized which have been relied by the Assessing Officer to impute receipt of cash component on the sale of property. At the same time, ld. CIT(A) has reproduced the Warrant of Authorization and Punchnama which show that search action was effected on third party namely Avtar Singh Kochar, Gagandeep Singh Kochar, Hari Singh Kochar & M/s H.L. Forex Pvt. Ltd. The punchnama prepared in the name of assessee does not reflect any incriminating material qua the alleged property transaction but mentions of jewellery items only. Thus, finding recorded by the Ld. CIT(A) require no interference. 4. On the aforesaid facts and circumstances when we examined the issue of approval we find that the competent authority granted approval on 22.04.2021 on the basis of a letter dated 22.04.2021 of the Assessing Officer. Though Assessing Officer mentions that the draft assessment orders has Printed from counselvise.com P a g e | 5 ITA No. 4450/Del/2025 CO No. 163/Del/2025 Smt. Neena Jain (AY: 2017-18) amended are being approved and that after detailed discussion with Assessing Officer and on the basis of facts mentioned in the appraisal report and after considering relevant seized documents the draft assessment orders are being approved. However, it appears that the approving authority has not applied its mind at all to the facts and circumstances of the case to have escaped even such a fundamental aspects. The reassessment was framed u/s 153A in the hands of assessee on the basis of document not seized from the premises of assessee. Thus, we find no error in the finding of ld. CIT(A) the ground raised by the department have no substance, at the same time Cross Objection raised by the assessee deserves to be sustained. 5. The appeal of the revenue is dismissed and Cross Objection raised by the assessee is allowed. Order pronounced in the open court on 20.02.2026 Sd/- (Manish Agarwal) Sd/- (Anubhav Sharma) ACCOUNTANT MEMBER JUDICIAL MEMBER Dated 20.02.2026 Rohit, Sr. PS Printed from counselvise.com P a g e | 6 ITA No. 4450/Del/2025 CO No. 163/Del/2025 Smt. Neena Jain (AY: 2017-18) Copy forwarded to: 1. Appellant 2. Respondent 3. CIT 4. CIT(Appeals) 5. DR: ITAT ASSISTANT REGISTRAR ITAT NEW DELHI Printed from counselvise.com "