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2022 (3) TMI 1636 - SCH - Income Tax


The Supreme Court, with Hon'ble Mr. Justice K.M. Joseph and Hon'ble Mr. Justice Hrishikesh Roy presiding, addressed a case involving the petitioner represented by Mr. Balbir Singh, Additional Solicitor General, among other advocates, and the respondent-assessee, who was not represented.The petitioner highlighted a statement from the Managing Director of the respondent-assessee, acknowledging an amount of Rs. 7,60,53,000/- as "unexplained investment" in tobacco stocks of Deccan Tobacco Company. This was based on an excess stock of 6,01,672 Kgs valued at Rs. 7,60,53,000/- found in the company's godowns. The Managing Director admitted the inability to explain the source of this excess stock and voluntarily declared it as "undisclosed income."Mr. Balbir Singh argued that the balance sheet, which the assessee relied upon, was finalized only after the search, suggesting that the interference by the ITAT and the High Court under Section 263 of the Income Tax Act, 1961, was not justified, as it was not a case of differing opinions. The Court issued a notice in response to these submissions.

 

 

 

 

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