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1990 (9) TMI 139 - AT - Income Tax

Issues:
1. Addition of jewelry under section 69A based on search operation.
2. Disputed valuation of stock and under-valuation of closing stock.

Detailed Analysis:

1. The first issue revolves around the addition of jewelry under section 69A of the Income Tax Act based on a search operation conducted on 4th Feb, 1986. The assessee had surrendered cash and explained that most jewelry belonged to his wife, except for 7 gold karas valued at Rs. 1,91,265, which he claimed belonged to his deceased mother. However, the Income Tax Officer (ITO) rejected this claim due to lack of evidence, considering it assessable as the assessee's income for the assessment year 1986-87. The CIT(A) upheld this addition, as the assessee failed to provide proof regarding the inheritance of jewelry from his mother. The Tribunal concurred with the CIT(A), emphasizing the need for stricter proof, especially as the assessee was not the sole legal heir and failed to provide details about siblings entitled to a share in the jewelry.

2. The second issue pertains to the valuation of stock and under-valuation of closing stock. The ITO conducted a search at the assessee's business premises and valued the stock at Rs. 2,02,514 on 4th Feb, 1986. The assessee disputed the valuation method, arguing that the average cost per kg should be Rs. 47 instead of Rs. 62 used by the ITO. The Tribunal agreed with the assessee, directing the ITO to revalue the stock at Rs. 47 per kg. Additionally, there was a disagreement over the valuation of the closing stock, with the assessee applying rates of Rs. 32 and Rs. 42 per kg, while the ITO valued it at Rs. 50 per kg. The Tribunal modified the CIT(A)'s order, instructing the ITO to recalculate the closing stock value at Rs. 40 per kg to ensure a fair assessment.

In conclusion, the Tribunal partially allowed the appeal by the assessee, addressing the issues of jewelry addition under section 69A and the valuation of stock comprehensively, ensuring a fair and accurate assessment in both matters.

 

 

 

 

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