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Issues:
- Assessment of penalty under section 271(1)(c) on the assessee for alleged concealment of income. - Rejection of assessee's explanation by the assessing officer and confirmation of penalty by the Appellate Assistant Commissioner (AAC). - Arguments presented by the learned counsel regarding the cash balance and examination of the Pauri firm. - Evaluation of the case by the ITAT Delhi-B and the decision to delete the penalty. Analysis: 1. The penalty of Rs. 10,048 was imposed on the assessee under section 271(1)(c) for allegedly concealing income related to a cash payment made to the State Bank of India. The explanation provided by the assessee regarding the source of the cash payment was rejected by the assessing officer and subsequently confirmed by the Tribunal. The assessing officer concluded that the assessee was guilty of concealment based on the lack of entries in the books of account supporting the explanation. 2. The assessing officer initiated penalty proceedings under section 271(1)(c) based on the alleged concealment of income. The assessee's explanation remained consistent, emphasizing that the necessary entries were made in the books after the final account was rendered by one of the partners. However, the assessing officer rejected this explanation, leading to the imposition of the penalty. The Appellate Assistant Commissioner also upheld the penalty, noting discrepancies in the purchase transaction and the timing of entries in the books. 3. During the appeal, the learned counsel reiterated arguments regarding the cash balance in the books and the lack of examination of the Pauri firm, which had advanced a loan to one of the partners. The Tribunal observed that the burden of proof lay with the Department to establish concealment of income. It was emphasized that the rejection of the assessee's explanation alone was insufficient to justify the penalty. The Tribunal found that there was no concrete evidence to support the charge of concealment, leading to the deletion of the penalty. 4. The Tribunal highlighted that the details of the cash balances presented during the appeal demonstrated that the assessee had sufficient funds to cover the cash payment in question. The explanation provided by the assessee was deemed plausible, considering the cash balances maintained during the relevant period. The Tribunal concluded that while the assessing officer could reject the explanation for assessment purposes, such rejection did not warrant the imposition of a penalty. Consequently, the Tribunal allowed the appeal and deleted the penalty imposed on the assessee.
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