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        <h1>Court upholds assessment order, dismisses appeal, emphasizes lack of legal questions.</h1> <h3>JB. Associates P. Ltd. Versus. Commissioner of Income-tax</h3> The court dismissed the appeal, upholding the assessment order and finding that the authorities had complied with statutory provisions. The appellant's ... Search and seizure – Block assessment – undisclosed investment - opportunity being provided to the appellant-company, it completely failed to discharge the onus – Additions Under section 158BC justified – Appeal dismissed Issues Involved:1. Examination of materials on record by the Tribunal.2. Opportunity for cross-examination.3. Compliance with statutory provisions.4. Inclusion of income in books of account.5. Legality of proceedings without search of appellant's premises.6. Procedure under section 158BD.7. Enhancement of undisclosed income.8. Requirement to disclose source of payee's income.9. Genuineness of investments as share capital.10. Formation of Assessing Officer's opinion.11. Jurisdiction of High Court under section 260A.12. Substantial question of law regarding possession of share certificates.Issue-wise Detailed Analysis:1. Examination of Materials on Record by the Tribunal:The appellant contended that the Tribunal failed to examine the materials on record. However, the court found that the Tribunal had thoroughly examined the materials and affirmed the assessment order after proper verification.2. Opportunity for Cross-Examination:The appellant argued that they were not given adequate opportunity to cross-examine witnesses. The court rejected this contention, stating that the appellant had the duty to produce evidence and failed to do so despite being given opportunities.3. Compliance with Statutory Provisions:The appellant claimed that the proceedings were conducted without regard to statutory obligations. The court found that the authorities had followed the statutory provisions and passed the orders after thorough consideration.4. Inclusion of Income in Books of Account:The appellant argued that income entered in the books for which the due date had not expired could not be considered undisclosed income. The court found that the appellant failed to explain the investments and the authorities rightly treated the amounts as undisclosed income.5. Legality of Proceedings Without Search of Appellant's Premises:The appellant contended that there was no search of their premises, rendering the proceedings illegal. The court rejected this argument, stating that the search at the director's premises and the subsequent findings justified the proceedings.6. Procedure Under Section 158BD:The appellant argued that the mandatory procedure under section 158BD was not followed. The court found that the authorities had complied with the procedure and the appellant failed to discharge their obligation to explain the investments.7. Enhancement of Undisclosed Income:The appellant contended that the enhancement of undisclosed income was unsustainable. The court found that the authorities had rightly assessed the undisclosed income based on the materials on record.8. Requirement to Disclose Source of Payee's Income:The appellant argued that they were only required to disclose the source of the payee and not the payee's income. The court found that the appellant failed to establish the genuineness of the investments and the authorities rightly treated the amounts as undisclosed income.9. Genuineness of Investments as Share Capital:The appellant claimed that the investments were genuine and formed share capital. The court found that the appellant failed to prove the genuineness of the investments, and the authorities rightly treated the amounts as undisclosed income.10. Formation of Assessing Officer's Opinion:The appellant contended that the Assessing Officer's opinion was not formed objectively. The court found that the Assessing Officer had formed the opinion based on the materials available and the appellant failed to provide satisfactory explanations.11. Jurisdiction of High Court Under Section 260A:The court reiterated that its jurisdiction under section 260A is limited to substantial questions of law. The court found no substantial question of law in the appellant's contentions and upheld the Tribunal's order.12. Substantial Question of Law Regarding Possession of Share Certificates:The court examined whether the possession of share certificates by the director gave rise to reasons to believe it represented the appellant's undisclosed income. The court found that the appellant failed to explain the investments and the authorities rightly treated the amounts as undisclosed income.Conclusion:The court dismissed the appeal, finding that the authorities had passed the orders after thorough consideration of the materials and statutory provisions. The substantial question of law was answered in favor of the respondent-Department, and the appeal was dismissed with no order as to costs.

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