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Issues involved: Whether the legal representative of a deceased-assessee is entitled to produce additional evidence before the Tribunal after ex parte assessments have been made by the Wealth-tax Officer.
Summary: The case involved a question regarding the entitlement of the legal representative of a deceased-assessee to present additional evidence before the Tribunal following ex parte assessments by the Wealth-tax Officer. The deceased-assessee, A. K. Babu Khan, was assessed to wealth-tax ex parte for multiple assessment years as he failed to submit returns. Despite being given opportunities, no evidence was produced by the deceased-assessee during the assessment process. After his death, his legal representative sought to introduce additional evidence before the Tribunal, which was initially denied by the Tribunal. The legal representative relied on rule 29 of the Income-tax (Appellate Tribunal) Rules, 1963, which allows for the production of additional evidence under specific circumstances. However, the Tribunal found no substantial cause to permit the introduction of further evidence. The legal representative contended that the Tribunal had not fully considered the scope of the rule, particularly the phrase "or for any other substantial cause." The court examined the provisions of rule 29 and emphasized that the discretion to allow additional evidence should be exercised judiciously and sparingly in the interest of justice. It was noted that the rule is not intended to enable an unsuccessful party to rectify deficiencies in their case. The court highlighted that a party displaying negligence and failing to produce evidence during the assessment process should not be granted leniency to introduce additional evidence at a later stage. Referring to legal precedents, including decisions by the Privy Council, Supreme Court, and High Courts, the court reiterated that the admission of additional evidence must be necessary for the case's disposal or due to sufficient cause. The court upheld the Tribunal's decision to refuse the introduction of additional evidence by the legal representative, concluding that there was no indication of improper exercise of discretion by the Tribunal. In conclusion, the court answered the question in the negative, ruling against the legal representative of the deceased-assessee and ordering them to bear the costs of the proceedings.
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