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The judgment involves the issue of unexplained investment u/s 69 of the Income Tax Act 1961 for the block period from 1.4.1988 to 14.10.1998. Summary: The Revenue challenged an order passed by the Income Tax Appellate Tribunal regarding an unexplained investment of &8377;41,50,000 during the block period. Documents recovered during a search indicated additional payments for property purchase. The Assessee's appeal was allowed by the Commissioner of Income Tax (Appeals) and upheld by the Tribunal, leading to the Revenue's appeal u/s 260A of the Act. The documents recovered were in the handwriting of the Assessee's father, but the Revenue did not examine him. Statements of others involved in property transactions did not support the claim of unexplained investment. The CIT (A) found no material suggesting such investment and noted the informal nature of the recovered documents. The High Court agreed with the CIT (A) and Tribunal, stating that no unexplained investment was evident from the documents. The failure to examine the Assessee's father was highlighted as a lapse in evidence collection. The opinions of the lower authorities were deemed reasonable and based on the available records. No substantial legal question was found, leading to the dismissal of the appeal.
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