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Issues:
1. Jurisdiction of Commissioner under section 263 for reassessment based on cash credits discrepancy. 2. Validity of Commissioner's jurisdiction in setting aside the assessment order for fresh assessment. 3. Requirement of further enquiries by the Income-tax Officer regarding the genuineness of cash credits. 4. Examination of confirmatory letters and affidavits of creditors for genuineness. 5. Expression of final opinion by the Commissioner while setting aside the assessment order for fresh assessment. Analysis: 1. The judgment pertains to an appeal against the order of the Commissioner of Income-tax regarding the assessment year 1984-85. The issue revolves around the discrepancy in cash credits shown by the assessee in the balance sheet filed during assessment. The Commissioner invoked jurisdiction under section 263, alleging that the cash credits were not genuine. The assessee challenged this jurisdiction, arguing that proper enquiries were conducted by the Income-tax Officer before assessment. The High Court's decision in Ganga Properties v. ITO was cited to support the contention that the Commissioner's examination of additional records did not constitute the basis for invoking jurisdiction. 2. The validity of the Commissioner's jurisdiction in setting aside the assessment order for fresh assessment was also contested. The assessee argued that the Commissioner's expression of a final opinion on the genuineness of cash credits vitiated the order. Citing the decision in Addl. CIT v. Mukur Corpn., it was contended that the Commissioner should not express a final opinion on controversial points. However, the Departmental Representative supported the Commissioner's order, relying on precedents like Rampyari Devi Saraogi v. CIT and Gee Vee Enterprises v. Addl. CIT to justify the reassessment. 3. The judgment emphasized the necessity for further enquiries by the Income-tax Officer regarding the genuineness of the cash credits. It was noted that the assessment order was silent on this crucial aspect, indicating a lack of investigation by the Officer despite the need for verification. The duty of the Officer to ascertain the truth of facts and conduct thorough enquiries was highlighted, as the circumstances warranted a deeper investigation to determine the authenticity of the cash credits. 4. The examination of confirmatory letters and affidavits of the creditors, S/Shri Naresh Kumar and Ashok Kumar, was deemed essential to establish the genuineness of the cash credits. Despite the existence of confirmatory letters, it was emphasized that the Income-tax Officer should have examined the creditors to verify their identity, capacity, and the genuineness of the transactions. The identical nature of the confirmatory letters raised concerns, necessitating further scrutiny to ensure the legitimacy of the credits. 5. Lastly, the judgment addressed the issue of the Commissioner expressing a final opinion while setting aside the assessment for fresh assessment. It was clarified that the Commissioner's opinion on the genuineness of the cash credits should not prejudice the Income-tax Officer's independent assessment during the reassessment process. The decision in Mukur Corpn. was cited to underscore the importance of avoiding final opinions on contentious matters, allowing the Officer to arrive at conclusions based on further enquiries. The judgment concluded by dismissing the appeal and upholding the Commissioner's jurisdiction under section 263 for reassessment, subject to the above observations.
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