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April 17, 2026 : The Delhi Bench of the Income Tax Appellate Tribunal (ITAT) has held that a cash receipt arising from a duly substantiated transaction for the sale of agricultural land cannot be taxed as unexplained cash credit under Section 68 of the Income Tax Act, 1961, where the assessee establishes the identity, genuineness, and creditworthiness of the payer.
In Angad Developers Pvt. Ltd. v. CIT(A), Delhi (ITA No. 5506/Del/2025; AY 2016–17), the Bench comprising Judicial Member Vimal Kumar and Accountant Member S. Rifaur Rahman allowed the assessee’s appeal and deleted the addition of ₹75 lakh made by the Assessing Officer and sustained by the Commissioner of Income Tax (Appeals).
The assessee, Angad Developers Pvt. Ltd., had filed its return declaring a loss. During scrutiny assessment, the Assessing Officer noticed a significant increase in cash-in-hand and sought an explanation. The assessee clarified that it had entered into an agreement to sell agricultural land to Versatile Commotrade Private Limited for a total consideration exceeding ₹10 crore.
It was explained that:
The assessee supported its explanation with documentary evidence including:
Notably, the buyer itself had filed a civil suit seeking recovery of advances paid, explicitly acknowledging the payment of ₹75 lakh in cash.
Despite the documentation, the Assessing Officer treated the ₹75 lakh as unexplained cash credit under Section 68. The CIT(A) upheld the addition, primarily citing lack of independent confirmation from the buyer.
The Tribunal found that the assessee had discharged its initial burden under Section 68 by establishing:
It emphasized that:
The Tribunal reiterated the settled legal position that once the assessee furnishes primary evidence, the burden shifts to the Revenue to disprove it with cogent material. In this case, no contrary evidence was brought on record.
Relying on the Supreme Court’s ruling in CIT v. Orissa Corporation (P) Ltd., the Tribunal held that:
The Tribunal concluded that the ₹75 lakh receipt was a genuine advance arising out of a property transaction and could not be treated as unexplained income. Accordingly, the addition was deleted and the appeal was allowed.