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Issues:
1. Legality of treating the entire purchase of Kana as bogus and adding its value to the income of the assessee. Analysis: The case involved a reference under section 256(2) of the Income-tax Act, 1961 regarding the legitimacy of adding the value of Kana purchase to the assessee's income. The applicant, a registered firm engaged in rice manufacturing and sale, was found to have failed to explain the quantity of Kana purchased during assessment. The Assessing Officer considered the purchase of 300 quintals of Kana as bogus, adding its value to the income. Despite the applicant accounting for the entire quantity in the sale account, the addition was upheld by the Commissioner of Income-tax (Appeals) and the Tribunal. The Tribunal noted the absence of purchase vouchers for the Kana, leading to an inquiry from alleged sellers who denied dealing with the quantity claimed by the assessee. The statements of these sellers indicated discrepancies in the assessee's claims. The Tribunal concluded that the purchases were bogus, justifying the addition to the income. The Tribunal rejected the argument that the reflected purchases in sales proved actual transactions, emphasizing the need to add back fictitious purchases to neutralize inflation effects, regardless of favorable profit comparisons. Upon review, the High Court upheld the Tribunal's decision, stating that the findings were based on evidence and not flawed. The Court affirmed the addition to the income due to the bogus purchases, ruling against the assessee. The judgment emphasized that since the purchases were deemed unverifiable, no set-off benefits could be granted. The Court answered the question in favor of the revenue, supporting the addition to the income without imposing any costs.
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