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Issues involved:
1. Assessment of income from other sources for various years. 2. Assessment of income from property for multiple assessment years. Analysis - Issue 1: Assessment of income from other sources The case involved assessing the income of the assessee from other sources for different years. The Revenue contended that the assessee purchased immovable property in the names of others, allegedly benami transactions. The Revenue added amounts to the assessee's income, which were later deleted by the Tribunal. The High Court observed that the Tribunal had not properly considered all facts and circumstances, including the source of funds and evidence connecting the assessee to the transactions. After remand, the Tribunal upheld the additions, concluding that the properties were purchased benami by the assessee and that smuggled goods belonged to the assessee. The High Court noted that the Tribunal's decision was based on an analysis of various circumstances, such as payment of municipal taxes and construction of compound walls by the assessee. The Court emphasized the importance of proving the source of funds in benami transactions. The Court upheld the Tribunal's decision, stating that factual findings should not be disturbed unless unsupported by evidence. Analysis - Issue 2: Assessment of income from property Regarding the assessment of income from property, the case involved the construction of a compound wall by the assessee on a property owned by them. The estimated cost of the compound wall was added to the assessee's income as income from other sources. The High Court determined that since the property belonged to the assessee, the income from the property was also assessable as the assessee's income for the relevant years. The Court answered the questions related to the addition of income from property in favor of the Department, reinforcing that income from the property owned by the assessee should be included in their taxable income. In conclusion, the High Court disposed of the income-tax references by upholding the Tribunal's decisions on both issues, emphasizing the importance of considering all relevant facts and evidence in determining the assessable income of the assessee.
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