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Issues involved:
Appeal against the common order of the Income-tax Appellate Tribunal regarding unexplained investment in property construction and surrender made by the assessee in subsequent years. Analysis: The case revolved around a search and seizure operation at business premises, revealing unexplained investments in property construction. The assessee claimed the investment was funded by advance money from prospective buyers, but failed to provide evidence. The Assessing Officer added the unexplained investment to the assessee's income. The Commissioner of Income-tax (Appeals) remanded the case for further inquiry, leading to a commission being issued to examine a key witness. However, the witness denied any cash transactions with the assessee, resulting in the unexplained investment being added back to the income. The Tribunal, after considering the evidence, reversed the Commissioner's decision, stating that the source of the investment was unexplained and should be added to the income for the relevant assessment year. The Tribunal found no evidence of advance payments received by the assessee for property sales, rejecting the claim made by the assessee and restoring the Assessing Officer's order. The Court dismissed the appeal, upholding the Tribunal's decision. It emphasized that the assessee's conduct and lack of evidence to support the claim of advance payments against property sales led to the rejection of the appeal. The Court agreed with the Tribunal's findings and concluded that no substantial question of law arose in the case. Additionally, the Court refused to condone the delay in the appeal, as the dismissal was based on merits, and no valid reason for delay was presented.
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