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Issues:
- Application for reference under section 256(2) of the Income-tax Act, 1961 - Dispute over assessment year 1980-81 arising from Income-tax Appeal No. 482/JP of 1987 - Allegations of undisclosed sale proceeds of country-made liquor - Tribunal's deletion of the addition of Rs. 24 lakhs - Burden of proof on Revenue vs. assessee - Tribunal's rejection of reference application under section 256(1) of the Income-tax Act - Contention regarding substantial questions of law Analysis: The case involves an application for reference under section 256(2) of the Income-tax Act, 1961, filed by the Commissioner of Income-tax against a company regarding the assessment year 1980-81. The dispute arises from the assessment proceedings where the assessing authority found a variance in the rate for supply of country liquor to the Government. The company claimed that the Government allowed payment at a lower rate than what was recorded in the accounts. The assessing authority concluded that the additional amount received was undisclosed income, leading to a dispute over the actual consideration received by the company. The Tribunal ultimately deleted the addition of Rs. 24 lakhs, prompting the Revenue to challenge this decision. The Revenue argued that the Tribunal failed to consider the previous year's pricing and the company's motives for reducing rates. The Tribunal, however, found that the evidence provided by the Revenue was insufficient to prove tax evasion by the company. It highlighted that the company's profits from liquor shops allocated by the State Government could not be considered as imaginary profits for taxation purposes. The main contention revolved around whether substantial questions of law were involved in the matter. The Tribunal's decision was based on the evidence available on record, and it found no misplacement of the burden of proof. Despite the Revenue's arguments, the Tribunal's findings were upheld as it concluded that the evidence did not support a case of tax evasion by the company. The Tribunal's decision to reject the reference application under section 256(1) of the Income-tax Act was upheld, emphasizing the need for concrete evidence to establish tax liability. In conclusion, the Court rejected the application for reference, stating that no substantial question of law was established to warrant a redirection of the case. The decision emphasized the importance of factual findings and concrete evidence in tax disputes, highlighting the burden of proof on the party making allegations of tax evasion.
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