1983-VIL-15-SC-DT
Equivalent Citation: [1984] 145 ITR 186 (SC)
Supreme Court of India
Date: 10.08.1983
RADHE SHYAM TIBREWAL
Vs
COMMISSIONER OF INCOME-TAX, ASSAM, AND OTHERS
BENCH
Judge(s) : D. P. MADAN., V. BALAKRISHNA ERADI. and V. D. TULZAPURKAR.
JUDGMENT
The judgment of the court was delivered by
TULZAPURKAR J.-We have heard counsel for the assessee and the respondent.
We are satisfied that the question of law involved in this appeal is fully and conclusively covered by the decision of this court in Jamnaprasad Kanhaiyalal's case [1981] 130 ITR 244.
Counsel for the assessee, however, tried to distinguish this case on facts. But we are unable to see any difference. The Tribunal has recorded a finding of fact that the assessee had failed to prove that the transactions represented by the cash credit entries in his books were really genuine in the sense that the deposits had really been made by the depositors/creditors mentioned in the entries. Both the Tribunal as well as the High Court have taken the view that the declarations made by the depositors/creditors under s. 24 of the Finance (No. 2) Act of 1965 (Act No. X of 1965), under the Voluntary Disclosure Scheme (which were accepted by the Commissioner so far as the declarants were concerned) as well as the letters written by the alleged depositors (the two ladies in question) were relevant materials. But when such material was placed before the ITO he desired the assessee to call the two ladies for examination but they were not produced by the assessee for giving evidence before the ITO. In these circumstances the Tribunal as well as the High Court concluded that in the absence of any satisfactory proof in that behalf the taxing authorities were perfectly justified in holding that these amounts represented the assessee's own income from undisclosed sources. In this view of the matter we see no substance in this appeal which is dismissed with costs.
Appeal dismissed.
DISCLAIMER: Though all efforts have been made to reproduce the order accurately and correctly however the access, usage and circulation is subject to the condition that VATinfoline Multimedia is not responsible/liable for any loss or damage caused to anyone due to any mistake/error/omissions.