CIT vs. Mukesh Ratilal Marolia (Bombay High Court)
S. 10(38)/ 69: Fact that a small amount invested
in "penny" stocks gave rise to huge capital gains
in a short period does not mean that the transaction is
"bogus" if the documentation and evidences cannot
be faulted
The explanations of the assessee seems to have been
rejected by the assessing authority more on the ground of
presumption than on factual ground. The presumption is so
compelling that comparatively a small amount of investment
made by the assessee during the previous year period
relevant to the assessment years 1999- 2000 and 2000-01
have grown into a very sizable amount ultimately yielding a
fabulous sum of Rs. 1,41,08,484 which was used by the
assessee for the purchase of the flat at Colaba. The
sequence of the events and ultimate realization of money is
quite amazing. That itself is a provocation for the
Assessing Officer to jump into a conclusion that the
transactions were bogus. But, whatever it may be, an
assessment has to be completed on the basis of records and
materials available before the assessing authority.
Personal knowledge and excitement on events, should not lead
the Assessing Officer to a state of affairs where salient
evidences are over-looked. In the present case, howsoever
unbelievable it might be, every transaction of the assessee
has been accounted, documented and supported. Even the
evidences collected from the concerned parties have been
ultimately turned in favour of the assessee. Therefore, it
is, very difficult to brush aside the contentions of the
assessee that he had purchased shares and he had sold
shares and ultimately he had purchased a flat utilizing the
sale proceeds of those shares
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