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Issues Involved:
1. Whether the assessee was benamidar of his wife, who carried on business under the name and style of M/s Friends Automobiles. 2. Whether the assessee failed to produce evidence showing that his wife was the absolute proprietor of M/s Friends Automobiles. 3. Whether the addition of Rs. 33,495 as the income of the assessee was legally correct. Detailed Analysis: Issue 1: Benami Character of the Business The primary question was whether the assessee's wife was a benamidar for the assessee in the business of M/s Friends Automobiles. The Tribunal and tax authorities consistently held that the wife was incapable of running the business, signing the agency agreement, or arranging capital. The agency agreement with M/s Mopeds India (P) Ltd. was signed by the assessee, and the Principals had no information about the actual proprietor. The Tribunal concluded that the entire business was managed by the assessee, indicating that the wife was merely an ostensible owner. The court upheld this finding, noting that the onus to prove the benami nature of the transaction was on the Revenue, which was successfully discharged through various facts and circumstances. Issue 2: Evidence of Proprietorship The assessee failed to provide convincing evidence that his wife was the absolute proprietor of M/s Friends Automobiles. A certificate dated 23rd February 1970, purportedly authorizing the assessee to act on behalf of the business, was not considered since it was not part of the original record. The Tribunal noted that the wife had minimal education and no involvement in the business's affairs. The AAC observed that the capital for the business was arranged through loans based on the assessee's connections, not the wife's efforts. The Tribunal's findings were based on a comprehensive assessment of the evidence, leading to the conclusion that the wife was not the real proprietor. Issue 3: Addition of Rs. 33,495 as Income The amount of Rs. 33,495 was added to the assessee's income, representing the business income of M/s Friends Automobiles, which was initially a proprietary concern and later a partnership. The Tribunal and tax authorities found that the business's capital and management were controlled by the assessee. The court noted that the assessee was unable to prove that the capital invested in the partnership business did not come from the proprietary business. The Supreme Court's observation in CIT vs. A. Abdul Rahim & Co. was cited, indicating that a benamidar partner is accountable to the real owner for profits. The court upheld the addition, confirming that the income belonged to the assessee. Conclusion: The court answered all three questions in favor of the Revenue and against the assessee. The Tribunal's findings that the wife was a benamidar and the business income should be taxed in the hands of the assessee were upheld. The reference was answered accordingly, with no order as to costs.
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