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Issues involved: Assessment of income u/s 147(a) of the I.T. Act, 1961 based on a sum received by the assessee, purported to be a loan but claimed to be business income.
Summary: The High Court of Karnataka was presented with a question regarding the assessment of a sum of Rs. 32,58,500 as the income of the assessee for the assessment year 1960-61. The initial assessment resulted in a loss, but subsequent proceedings under s. 147(a) of the I.T. Act were initiated, claiming that the amount received was not a loan but business income. The Income Tax Officer (ITO) concluded that the sum should be treated as income based on various circumstances, including lack of correspondence, non-repayment of the loan, absence of security, and contemporaneous agreements related to business activities. The assessee's appeals to the Appellate Authority and Tribunal were unsuccessful. The Tribunal considered the circumstances and concluded that the amount was not a loan but possibly a commission paid to the assessee for business relations. However, there was no specific finding or documentary evidence to support this claim. The Reserve Bank of India had permitted the loan, and various agreements and events indicated the transaction as a loan. The foreign collaborator's correspondence also confirmed the nature of the transaction as a loan, even stating that chances of recovery were remote. The Tribunal's conclusion to treat the amount as income lacked tangible material and was deemed untenable by the High Court. The burden of proof to show the transaction as income was heavy on the Department, and without concrete evidence of commission, the assessment as income was deemed incorrect. The Court ruled in favor of the assessee, stating that the amount was indeed a loan and not income, as claimed by the authorities. In conclusion, the High Court held that the assessment of the sum as income was unjustified, lacking substantial evidence to prove it was anything other than a loan, as maintained by the assessee throughout the proceedings.
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