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Issues:
Validity of loan borrowing of Rs. 25,000 for assessment year 1949-50. Analysis: The case involved a question under section 256(2) of the Income-tax Act, 1961, regarding the genuineness of a loan of Rs. 25,000 borrowed by a registered firm for the assessment year 1949-50. The Income-tax Officer had treated this amount as income from undisclosed sources due to lack of satisfactory explanation from the assessee. The firm contended that the loan was genuine, supported by interest payment and brokerage details. However, the Income-tax Officer was not convinced and requested further details about the lender. The assessee provided information about the lender and a finance broker, but attempts to summon them were unsuccessful. The Appellate Assistant Commissioner favored the assessee, stating that a fresh summons should have been issued by the Income-tax Officer. Nevertheless, the Tribunal overturned this decision, emphasizing the failure of the assessee to prove the genuineness of the loan, especially due to the inability to serve the summons on the lender and broker. The assessee argued that the Income-tax Officer should have issued a fresh summons based on a subsequent letter, implying inadequate inquiry by the taxing authorities. However, the court disagreed, stating that the address provided by the assessee was accurate, and the failure to serve the summons indicated the unavailability of the addressee rather than an error in the address. The court also distinguished the present case from previous judgments cited by the assessee, highlighting the importance of attempting to serve the summons and the lack of evidence supporting the loan's genuineness. Consequently, the court upheld the Tribunal's decision, affirming that the Income-tax Officer correctly treated the sum of Rs. 25,000 as income from undisclosed sources. In conclusion, the court answered the question referred in the negative, holding the assessee liable for the costs of the reference. The judgment emphasized the necessity of providing substantial evidence to support claims, especially in cases involving financial transactions, and highlighted the significance of thorough investigation and documentation to establish the genuineness of loans or income sources for tax assessment purposes.
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