UPON hearing counsel the Court made the following ORDER
Delay condoned.
Can the amount of share money be regarded as undisclosed income under
Section 68 of Income Tax Act, 1961? We find no merit in this Special Leave
Petition for the simple reason that if the share application money is received by
the assessee-Company from alleged bogus shareholders, whose names are given
to the AO, then the Department is free to proceed to re-open their individual
assessments in accordance with law. Hence, we find no infirmity with the
impugned judgment.
Subject to the above, Special Leave Petition is dismissed.