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Issues:
Validity of re-opening of assessment for the assessment year 1986-87. Analysis: The primary issue in this case revolves around the validity of re-opening the assessment for the assessment year 1986-87. The Revenue contended that the assessee had significantly understated the value of jewellery and silver articles in the original return of wealth-tax for different assessment years. The Revenue argued that the increase in the value declared in the revised return was unjustifiably high at 9.7 times, considering the gradual increase in the value of precious metals. The Revenue justified the re-opening of assessments under section 69 as representing investment from undisclosed sources. However, the assessee maintained that the jewellery value was consistently declared based on the cost of acquisition in the balance sheet and later rectified under the amnesty scheme by valuing the jewellery at market rates. The Tribunal observed that the assessee had disclosed the value of jewellery under the amnesty scheme for several assessment years and paid additional wealth tax accordingly. The Tribunal found no discrepancy in the quantity of jewellery declared by the assessee, attributing the difference in value to the appreciation of precious metals. The Tribunal emphasized that the reasons for re-opening the assessment were unfounded, as the assessee had disclosed all material facts necessary for assessment, including income sources and jewellery valuation details. The Tribunal dismissed the Revenue's argument by highlighting that the reasons recorded for re-opening the assessment were baseless. The departmental valuer's assessment of jewellery value was compared to the value declared by the assessee and other family members, revealing a minor difference due to price appreciation and valuation discrepancies. The Tribunal concurred with the CIT(A)'s finding that no excess jewellery quantity was found during the search, supporting the assessee's claim of consistent ownership since 1979-80. Additionally, no evidence indicated the acquisition of jewellery in 1985-86 without satisfactory explanation of the sources. Consequently, the Tribunal concluded that the CIT(A)'s decision to deem the re-opening of assessment as invalid was appropriate. As a result, the Tribunal dismissed the Revenue's appeals, affirming the validity of the assessment and rejecting the grounds raised by the Revenue. In conclusion, the Tribunal's detailed analysis focused on the consistency of jewellery valuation, the absence of undisclosed sources, and the lack of evidence supporting the Revenue's claims. By meticulously examining the facts and legal arguments presented, the Tribunal upheld the CIT(A)'s decision, emphasizing the absence of valid reasons for re-opening the assessment and dismissing the Revenue's appeals accordingly.
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