" IN THE INCOME TAX APPELLATE TRIBUNAL, BEFORE MANISH AGARWAL Panda Brothers and Traders, At/PO: Jagatsinghpur, Dist: Cuttack PAN/GIR No. (Appellant Assessee by Per Bench This is an CIT(A), NFAC, Delhi dated No.CIT(A),Cuttack 2. Shri P.K.Mishra and Shri Baidyanath Behera assessee and Shri IN THE INCOME TAX APPELLATE TRIBUNAL, CUTTACK BENCH, CUTTACK BEFORE SHRI GEORGE MATHAN, JUDICIAL MEMBER AND MANISH AGARWAL, ACCOUNTANT MEMBER ITA No.499/CTK/2024 Assessment Year : 2012-13 Panda Brothers and Traders, At/PO: Jagatsinghpur, Dist: Vs Deputy Commissioner of Income Tax, Circle Cuttack No.AAIFP 6972 G (Appellant) .. ( Respondent Assessee by : Shri P.K.Mishra and Baidyanath Behera Revenue by : Shri S.C.Mohanty, Sr DR Date of Hearing : 11/12/20 Date of Pronouncement : 11/12/20 O R D E R This is an appeal filed by the assessee against the order of th CIT(A), NFAC, Delhi dated 26.10.2023 CIT(A),Cuttack/10612/2019-20 for the assessment year P.K.Mishra and Shri Baidyanath Behera, ld ARs assessee and Shri S.C.Mohanty, Sr. DR appeared for the revenue. P a g e 1 | 5 IN THE INCOME TAX APPELLATE TRIBUNAL, MEMBER , ACCOUNTANT MEMBER Deputy Commissioner of Income Tax, Circle-1(1), Respondent) Behera, Advs : Shri S.C.Mohanty, Sr DR 2024 024 appeal filed by the assessee against the order of the ld in Appeal essment year 2012-13. appeared for the DR appeared for the revenue. ITA No.499/CTK/2024 Assessment Year : 2012-13 P a g e 2 | 5 3. The appeal is time barred by 339 days. The assessee has filed condonation petition supported with necessary affidavit, wherein, it has been mentioned that the assessee was seriously unwell and medical certificate in support of his submission was produced. Considering the facts and evidences produced by the assessee, the delay in filing the appeal is condoned and same is disposed off on merits. 4. It was submitted by ld AR that the only issue in assessee’s appeal was against the confirmation of addition of Rs.1,59,50,384/- representing certain credits from one Mr Rajoo Yadav of Raigarh, Chhatisgarh. It was the submission that the assessee is dealer in supply of Tyres and the amount was received from Shri Rajoo Yadav on account of sales made to Rajoo Yadav by the assessee. It was the submission that in the course of assessment proceedings, the assessee was unable to produce evidence to substantiate his claim of sales of Rajoo Yadav. It was the submission that consequently, the Assessing Officer had treated the entire receipts from Rajoo Yadav as income from undisclosed sources. It was the submission that the assesse was also unable to produce adequate evidence before the ld CIT(A). Before the Tribunal, ld AR undertakes to produce proof of his claim in respect of receipts of Rs.1,59,50,384/- from Rajoo Yadav and accordingly, request that the issue may be restored to the file of the Assessing Officer. ITA No.499/CTK/2024 Assessment Year : 2012-13 P a g e 3 | 5 5. In reply, ld Sr DR submitted that no details of Rajoo Yadav had been produced and the ADIT(I&CI) was also unable to trace Shri Rajoo Yadav. It was the submission that no details of the sale invoices, details of transportation, copies of toll tax/entry tax and details in respect of sales caused to Shri Rajoo Yadav were produced. It was the submission that this was nothing but a transaction by which the assessee’s black money had been converted through bank under the guise of a person in the name of Rajoo Yadav. It was the submission that this was actually a fraud transaction. It was the submission that prior to transfer of money into the assessee’s account, the money had been deposited in the account of Rajoo Yadav, which has been found by ADIT. It was the further submission that even as per the report of ADIT, the invoice submitted by the assessee had not borne the address of Rajoo Yadav, nor any challan was available. It was the further submission that even the notice issued u/s.133(6) of the Act by the Assessing Officer was returned underserved with the postal remarks “addressee left”. 6. We have considered the rival submissions. A perusal of the present case clearly shows that no evidence whatsoever has been produced by the assessee in respect of said Rajoo Yadav before the AO nor before the ld CIT(A) nor before the Tribunal. A perusal of the facts also shows that in the assessment order, the Assessing Officer has accepted the total income disclosed by the assessee at Rs.18,70,450/- alongwith minor addition, which ITA No.499/CTK/2024 Assessment Year : 2012-13 P a g e 4 | 5 has been made in the original assessment order passed u/s.143(3) of the Act. Now the question arises as to whether the amount of Rs.1,59,50,384/- was part of sales which have been considered by the assessee while computing the total income at Rs.18,70,450/-. This being so and also considering the fact that the Assessing Officer has treated the same credits as income from undisclosed sources, in the interest of justice, the issues in this appeal are restored to the file of the Assessing officer for readjudication after granting the assesseer adequate opportunity of hearing to substantiate his claims of receipts from Shri Rajoo Yadav. In the absence of proper cooperation by the assessee before the Assessing Officer, liberty is granted to the AO to draw adverse inference. 7. In the result, appeal of the assessee stands partly allowed for statistical purposes. Order dictated and pronounced in the open court on 11/12/2024. Sd/- sd/- (Manish Agarwal) (George Mathan) ACCOUNTANT MEMBER JUDICIAL MEMBER Cuttack; Dated 11/12/2024 B.K.Parida, SPS (OS) ITA No.499/CTK/2024 Assessment Year : 2012-13 P a g e 5 | 5 Copy of the Order forwarded to : By order Sr.Pvt.Secretary ITAT, CUTTACK 1. The Appellant : Panda Brothers and Traders, At/PO: Jagatsinghpur, Dist: Cuttack 2. The Respondent: Deputy Commissioner of Income Tax, Circle-1(1), Cuttack 3. The CIT(A)- NFAC, Delhi 4. Pr.CIT, Cuttack 5. DR, ITAT, 6. Guard file. //True Copy// "