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1996 (11) TMI 61 - HC - Income Tax

Issues Involved:
1. Justification of the addition of Rs. 1,24,600.
2. Reliance on the bank manager's version regarding the trust receipt.
3. Burden of proof on the assessee and consideration of evidence.
4. Conduct of the assessee and availability of unpledged stock.
5. Consideration of irrelevant material by the Tribunal.
6. Tribunal's finding based on inferences, conjectures, and surmises.

Issue-wise Detailed Analysis:

1. Justification of the Addition of Rs. 1,24,600:
The Tribunal confirmed the addition of Rs. 1,24,600 to the assessee's income, representing the value of the stock pledged with the bank. The Tribunal inferred that the difference between the quantity shown as pledged and the quantity received from Raxor was from undisclosed stock. However, the court found that the assessee had sufficient disclosed stock (1,56,992 kgs) to cover the deficiency. The Tribunal ignored this relevant material, leading to an unjustified conclusion based on partly irrelevant considerations.

2. Reliance on the Bank Manager's Version Regarding the Trust Receipt:
The Tribunal relied on the bank manager's statement that the trust receipts ensured full delivery of goods on the same day. However, the court noted that the trust receipts indicated that the goods were to be received from Raxor and held as security by the assessee. The Tribunal failed to consider the actual terms of the trust receipts, which did not stipulate immediate delivery of goods. This reliance on oral evidence over documented terms was erroneous.

3. Burden of Proof on the Assessee and Consideration of Evidence:
The Tribunal placed the burden on the assessee to prove the source of the pledged goods. The court found that the assessee had consistently claimed that the goods were received over four days and had sufficient disclosed stock to cover the pledge. The Tribunal's finding ignored the assessee's explanation and the relevant material, leading to a flawed conclusion.

4. Conduct of the Assessee and Availability of Unpledged Stock:
The Tribunal dismissed the assessee's contention regarding the availability of unpledged stock. The court noted that the assessee had disclosed sufficient stock in its books, which could have been used to supplement the pledged goods. The Tribunal's failure to consider this fact rendered its conclusion unsustainable.

5. Consideration of Irrelevant Material by the Tribunal:
The Tribunal considered past voluntary disclosures by the assessee, which were irrelevant to the issue of actual delivery and the source of the pledged goods. Both counsels agreed that these disclosures had no bearing on the matter at hand. The court held that the Tribunal's reliance on irrelevant material vitiated its finding.

6. Tribunal's Finding Based on Inferences, Conjectures, and Surmises:
The Tribunal's conclusion that the assessee had undisclosed stock was based on conjectures and surmises. The court found that there was positive evidence of disclosed stock, and no material supported the inference of undisclosed stock. The Tribunal's finding was thus based on irrelevant considerations and ignored relevant material.

Conclusion:
The court answered both referred questions in the negative, in favor of the assessee and against the Revenue. The Tribunal's conclusions were found to be unsupported by material evidence and influenced by irrelevant considerations. The reference was disposed of with no order as to costs.

 

 

 

 

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