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        <h1>Tribunal rules in favor of appellants, directing deletion of disputed income amounts.</h1> The Tribunal allowed the appeals in favor of the appellants, emphasizing the bonafide nature of their claims regarding the application of surrendered ... Unexplained investment - unexplained excess cash - Held that:- The assessee has disclosed and accepted his income during the survey operation through return of income filed - He has also filed an affidavit in respect of retraction - After the assessee had filed the affidavit, he was neither cross examined on that point nor was he called upon to produce any documentary evidence - The assessee was entitled to assume that the income tax authorities were satisfied with the affidavit as sufficient proof on this point - The A.O. has not even rejected such an affidavit of the assessee in the entire proceedings before him - Following Sohan Lal Gupta Vs. CIT [1957 (3) TMI 54 - ALLAHABAD HIGH COURT] - The assessee has made a bonafide claim of application of the income that stood surrendered in the aforesaid five years and there being no contrary material on record, the addition of Rs. 6 lacs in the hands of Shri Kishorebhai Mohanlal Karia and cash in hand as unexplained investment in stock in the hands of M/s M.P. Scrap Traders are unjustified - Decided in favour of assessee. Issues:- Validity of CIT(A) order- Addition of disclosed amount as income- Endorsement of AO findings- Lack of material supporting addition- Investment source determination- CIT(A) justification for endorsing AO order- Unexplained cash and excess stock addition- Orders based on conjectures and surmises- Retraction validity and application explanation- Bonafide claim acceptanceValidity of CIT(A) order:The judgment involved two appeals arising from orders by the Commissioner of Income Tax (Appeals). The grounds of appeal challenged the legality and factual basis of the CIT(A) order, alleging it was based on surmises and conjectures without due consideration of facts and submissions made. The appellants contested the addition of disclosed amounts as income, endorsement of AO findings, lack of material supporting additions, and the justification for endorsing the AO's order.Addition of disclosed amount as income:The case revolved around the disclosure of unexplained investments by one of the appellants during survey proceedings. The appellant admitted to undisclosed income, surrendered amounts, and investments in various assets. The AO treated a specific investment as unexplained, leading to additions in the assessment. The appellant's explanation regarding the application of surrendered amounts was partially accepted, but certain investments were not acknowledged, resulting in additions to the total income.Endorsement of AO findings and lack of material supporting addition:The CIT(A) endorsed the AO's findings regarding the retraction of statements made during survey proceedings. The appellants argued that the findings were based on conjectures, surmises, and lacked supporting material. The AO disregarded the appellant's explanations and made additions based on the retracted statements, which the appellants contested as unjustified and improper.Investment source determination and CIT(A) justification:The case involved determining the source of investments and unexplained cash in hand and excess stock. The appellants challenged the CIT(A)'s endorsement of the AO's decision, arguing that the AO disregarded primary records and confessional statements, which should not have been conclusive without supporting evidence.Retraction validity and application explanation:The validity of the retraction of statements made during survey proceedings was a key issue. The appellants provided explanations and affidavits regarding the application of surrendered amounts, contesting the AO's and CIT(A)'s reliance on the retracted statements. The appellants contended that the retraction was limited in scope and should not have invalidated the disclosed investments.Bonafide claim acceptance:The Tribunal accepted the appellants' arguments, emphasizing the bonafide nature of the claims regarding the application of surrendered income. The Tribunal found no contrary evidence on record to support the additions made by the AO and directed the deletion of the disputed amounts from the assessment. The appeals were allowed in favor of the appellants.

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