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Issues:
1. Whether there was material to support the finding that penalty was not leviable under section 271(1)(c) of the Income-tax Act, 1961, for concealed income. Analysis: The judgment pertains to an assessment year where the Tribunal upheld additions on account of unexplained retirement of hundis, resulting in a penalty being imposed on the assessee for concealed income. The Tribunal found that the origin of the amount utilized for retiring hundis remained unexplained, leading to a penalty being levied. However, the Tribunal also considered the possibility of the unrecorded amount coming from undisclosed additional profits of preceding years. The Tribunal concluded that the burden on the revenue to prove concealment of income was not discharged, thereby canceling the penalty. The Tribunal's decision was based on the view that the burden of proof lay on the revenue, contrary to the legal presumption under section 271(1)(c) of the Income-tax Act. The High Court found that the Tribunal's decision was influenced by an error of law regarding the burden of proof, leading to the cancellation of the penalty. The High Court referred the case back to the Tribunal for rehearing, emphasizing the need for a clear finding on the amount complained of as concealed income and directing a decision in accordance with the correct legal viewpoint. This judgment highlights the importance of correctly applying the burden of proof in cases of concealed income under the Income-tax Act. It underscores the legal presumption created by section 271(1)(c) and the necessity for the assessee to disprove concealment or establish lack of fraud or wilful neglect. The decision emphasizes the significance of a clear finding on the concealed amount and the need for adherence to legal principles in determining penalties for undisclosed income. The case serves as a reminder of the procedural and evidentiary requirements in tax assessment proceedings, ensuring that decisions are made in accordance with the law and established legal principles.
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