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Confiscation of Indian currency under Customs Act and Gold (Control) Act, imposition of penalties under relevant provisions, voluntary nature of statement, corroborative evidence, legal acquisition of seized money, burden of proof. Analysis: The judgment pertains to appeals arising from the confiscation of Indian currency and imposition of penalties under the Customs Act and the Gold (Control) Act. The case involved the seizure of Rs. 2.4 lakhs from a scooter driven by Ashok Kumar Rastogi, suspected to be sale proceeds of smuggled gold. The Department's case relied on statements by Ashok Kumar Rastogi and his brother, Ram Chander Rastogi, admitting the currency's origin from smuggled gold sales. The adjudicating authority deemed Ashok's statement voluntary, dismissing claims of coercion. Despite a retraction letter, the authority found the retraction an afterthought, supported by corroborative statements. Ram Chander Rastogi's consistent statement further bolstered the Department's case, implicating their involvement in the gold business. Regarding the appellants' explanation of the money's legal acquisition for a house purchase, the adjudicating authority scrutinized the evidence. It found discrepancies in the appellants' claims, including unrelated bank transactions and the unlikelihood of carrying large cash sums for routine transactions. The authority highlighted the absence of immediate withdrawal for the alleged house deal, casting doubt on the appellants' explanations. The judgment endorsed the authority's reasoning, emphasizing the lack of compelling arguments challenging the impugned order. The judgment distinguished cited case laws where confiscations were overturned due to lack of evidence linking seized money to contraband activities. However, in this case, Ashok Kumar Rastogi's incriminating statement, supported by Ram Chander Rastogi's account, sufficed for the Department to meet its burden of proof under the Customs Act. Consequently, the tribunal upheld the confiscation order and penalties, affirming the Department's successful establishment of the currency's illicit origin and the appellants' liability. In conclusion, the judgment affirmed the Department's case, emphasizing the voluntary nature of incriminating statements, corroborative evidence, and the appellants' failure to substantiate legal acquisition claims. The tribunal upheld the confiscation order and penalties, underscoring the Department's fulfillment of the burden of proof under the Customs Act.
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