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Issues:
1. Estimation of income by the assessing officer based on unexplained investments and non-production of account books. 2. Discrepancies in the assessment order and the AAC's decision regarding the voluntary disclosure of income and investments by the assessee. Detailed Analysis: 1. The judgment pertains to three appeals by the assessee against the AAC's order related to the assessment years 1967-68, 1968-69, and 1969-70. The assessing officer estimated the income from the business due to the absence of account books, attributing investments in a godown to the assessee. The AAC partially reduced the estimated income for one year but upheld it for the other two years. The main contention was the unexplained investment in the godown and the estimation of income without proper basis. 2. The assessee argued that the AAC did not consider the appeals properly as no revised returns were filed, and the voluntary disclosure of income was inaccurately mentioned in the order. The source of investment in the godown was disputed, stating that the construction predated the period in question. The assessee also challenged the assessment based on the facts presented, including an affidavit and municipal records. The departmental representative supported the assessment orders. 3. The Appellate Tribunal found merit in the assessee's appeals due to discrepancies in the assessment. The Tribunal questioned how the assessing officer determined the investment in the godown when municipal records indicated its existence before the relevant period. The AAC's reliance on the alleged voluntary disclosure was criticized, emphasizing that such admissions should not be conclusive without proper consideration. The Tribunal concluded that the assessment was flawed and did not consider crucial evidence presented by the assessee. 4. Addressing the second issue, the Tribunal highlighted the power of the assessing officer to estimate income in the absence of account books. However, such estimation should be based on available material and not made arbitrarily. In this case, the assessing officer did not adequately consider the Profit & Loss Account and Balance Sheet provided by the assessee, which could have clarified the ownership of the godown and the business's extent. The AAC's reduction of the estimated income without proper reasoning was also criticized. Consequently, the Tribunal directed the assessing officer to accept the returned income of the assessee and cancel the additions made based on unexplained investments. 5. In conclusion, the Tribunal allowed all three appeals, emphasizing the importance of proper assessment based on available evidence and rejecting arbitrary estimations by the tax authorities. The judgment highlighted the necessity of considering all relevant facts and documents before making assessments to ensure fairness and accuracy in tax proceedings.
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