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Issues involved:
The judgment involves the levy of penalty under section 271(1)(c) of the Income-tax Act, 1961, and the correctness of the Tribunal's decision regarding the sustainability of the penalty. Facts: The case pertains to an assessee, a registered firm running an oil mill, where discrepancies were found in the recording of purchases and sales. The Income-tax Officer treated unexplained purchases as income from undisclosed sources and estimated suppressed profits. The Appellate Assistant Commissioner and the Tribunal made varying determinations on the undisclosed income and profits, leading to penalty proceedings under section 271(1)(c) of the Act. Appellate Assistant Commissioner's Decision: The Appellate Assistant Commissioner imposed a penalty for concealment of income based on the suppressed transactions and discrepancies in the assessee's explanations, despite the claimed net loss after considering sales tax liabilities. Tribunal's Decision: The Tribunal acknowledged the undisclosed transactions but found it difficult to sustain the penalty as there were conflicting opinions on whether the assessee had earned positive income or suffered a loss. The Tribunal set aside the penalty imposed by the Appellate Assistant Commissioner. High Court's Analysis: The High Court found the Tribunal's decision inconsistent with its earlier order, where it had considered the sales tax liability and directed the calculation of net profit. The Court emphasized that the Tribunal's final determination of concealed income, considering sales tax liability, was based on cogent material. Referring to precedent cases, the Court held that the concealment of income was established, leading to the judgment in favor of the Revenue and against the assessee. Conclusion: The High Court answered the questions in the negative, supporting the Revenue's position, and disposed of the reference accordingly, with no order as to costs.
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