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2007 (3) TMI 813 - HC - Income Tax

Issues involved: Appeal u/s 260-A of Income Tax Act, 1961 against ITAT order for assessment years 1988-89.

Summary:
The appellant, engaged in cotton ginning and oil extraction, claimed to conduct business on behalf of 21 parties, transferring profits to them. However, authorities found the claim ingenuine, adding Rs. 3,06,802 to the appellant's income. The Tribunal allowed adjusting speculation loss for three parties but upheld the addition. The High Court noted lack of physical delivery, absence of advance payments, and transactions in appellant's name, concluding the profits belonged to the appellant. The appellant's plea that transactions were genuine was rejected. The Court found no merit in the appeal, as the appellant failed to prove the genuineness of the transactions or the diversion of profits. The findings were based on evidence and not considered perverse. The appeal was dismissed as no substantial question of law was found.

This judgment highlights the importance of substantiating claims and providing evidence in tax matters, emphasizing the need for proper documentation and transparency in business transactions to avoid tax implications.

 

 

 

 

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