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Issues involved: Appeal against addition of unexplained jewellery u/s 69A.
Summary: Issue 1: Addition of unexplained jewellery u/s 69A The appeal was filed by the Revenue against the deletion of the addition of Rs. 2,10,65,665 made by the AO u/s 69A on account of unexplained jewellery. The assessee, a partnership firm dealing in gold, silver, and diamonds, claimed to have stock of jewellery brought forward from earlier years. The AO treated this stock as unexplained and added its value to the total income of the assessee u/s 69A. The CIT(A) deleted the addition, stating that the jewellery was introduced by the partners in the previous year and the source was explained. The Tribunal upheld the CIT(A)'s decision, noting that the jewellery was accepted as capital by the Department in the relevant year, and the source was duly explained. Therefore, the addition u/s 69A was not justified. This summary provides a detailed overview of the legal judgment, highlighting the issues involved and the key points of the decision regarding the addition of unexplained jewellery u/s 69A.
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