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Controversy over deletion of cash credits and interest by the learned AAC in the Departmental appeal and the assessee's Cross-objection for asst. yr. 1975-76. Analysis: The judgment by the Appellate Tribunal ITAT Jaipur involved a dispute concerning the deletion of a sum of Rs. 8000 representing cash credits and interest by the learned AAC. The assessee, a partnership concern deriving income from commission agency in Ghee, had cash credits of Rs. 4500 and Rs. 3500 in the accounts of two individuals. The Income Tax Officer (ITO) treated these credits as unexplained and added them to the assessment. However, the learned AAC found the credits genuine and deleted the additions, leading to the Departmental appeal. In the case of the credit of Rs. 4500 in the account of one individual, it was established that the son of the creditor confirmed the advance of the amount to the assessee firm in two installments, supported by evidence of payment and interest received. The learned AAC, after reviewing all relevant materials, concluded that the credit was genuine and justified in deleting the addition. The Revenue's argument that the parties lacked sufficient resources was dismissed as the department failed to provide material contradicting the genuineness of the transaction. Regarding the credit of Rs. 3500 in the account of another individual, it was revealed that the individual had a stable income from a Kirana shop and owned property, lending credibility to the transaction with the assessee firm. The individual admitted to advancing money to farmers and utilizing the returned amount to pay the assessee. The learned AAC, based on the evidence presented, correctly determined the credit as genuine, and the department failed to provide any material undermining the transaction's authenticity. The Tribunal emphasized that the burden of proving the genuineness of cash credits lies with the assessee, requiring evidence of the creditor's identity and transaction details. In both cases, the Tribunal upheld the learned AAC's decision to delete the additions, as the department failed to establish that the credits represented the assessee's own income. Consequently, the appeal by the Revenue was dismissed, and the cross objections of the assessee were upheld, affirming the deletion of the additions of Rs. 8000 along with interest.
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