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Issues Involved:
1. Addition of Rs. 57,000 on account of three cash credits challenged by the assessee. 2. Addition of Rs. 50,000 on account of brought forward balance from earlier years challenged by the assessee. Issue 1: Addition of Rs. 57,000 on account of three cash credits: The Assessing Officer (AO) had added Rs. 57,000 as unexplained investment under section 69 of the Income-tax Act due to doubts regarding the capacity of the creditors to advance the loans. The AO concluded that the creditors did not have sufficient income or assets to provide the loans based on their lack of bank accounts and being non-assessed to tax. The assessee contested this addition before the CIT(A), providing explanations about the creditors' sources of income and their family earnings to justify the loans. However, the CIT(A) upheld the addition. Upon further appeal to the Tribunal, the assessee argued that the cash credits were genuine and supported by evidence. The Tribunal noted that the AO did not provide copies of the creditors' statements to the assessee for verification or cross-examination, violating principles of natural justice. The Tribunal emphasized that the burden of proof shifts to the department to show that the cash credits do not belong to the assessee if the entries are in the name of third parties. The Tribunal found that the assessee had discharged its onus by presenting the creditors for examination, and the cash credits should be accepted as genuine. Consequently, the addition of Rs. 57,000 was deleted. Issue 2: Addition of Rs. 50,000 from brought forward balance: The AO added Rs. 50,000 from the brought forward balance of Rs. 3,68,530 from earlier years for making some investment, without clear justification. The CIT(A) sustained the addition for an investment of Rs. 3 lakhs in M/s Sant Properties, although the agreement basis was unclear and not accepted. The Tribunal found that there was no clear admission or acceptance of the addition by the assessee. The Tribunal questioned the basis for the ad hoc addition of Rs. 50,000 when the opening balance was significantly higher at Rs. 3,68,530 and the investment in M/s Sant Properties was Rs. 3 lakhs. The lack of clarity and legal basis for the ad hoc addition rendered it unsustainable, leading to the direction for its deletion. This ground of appeal was also allowed. In conclusion, the Tribunal ruled in favor of the assessee on both issues, deleting the additions of Rs. 57,000 on account of three cash credits and Rs. 50,000 from the brought forward balance, emphasizing the importance of providing evidence, adhering to principles of natural justice, and establishing a clear legal basis for any additions in income tax assessments.
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