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        <h1>Tribunal restores revenue's additions, emphasizes procedural rules. Cash and cheque deposit additions upheld.</h1> The Tribunal partly allowed the revenue's appeal, setting aside the CIT(A)'s deletions and restoring the AO's additions. The Tribunal emphasized the ... - Issues Involved:1. Deletion of addition of Rs. 2,02,500/- on account of Unexplained Cash Credit u/s 68.2. Restriction of addition to peak amount of Rs. 6,67,500/- instead of Rs. 15,60,067/- on account of Unexplained Deposits in the undisclosed Bank Account.3. Non-appreciation of cheque payments versus cash withdrawals.4. Failure to substantiate the utilization of cash deposits.5. Acceptance of additional evidence without AO's verification as per Rule 46A (2).6. Overall justification of CIT(A)'s order.Summary:Issue 1: Deletion of Addition of Rs. 2,02,500/- on account of Unexplained Cash Credit u/s 68The CIT(A) deleted the addition of Rs. 2,02,500/- made by the AO, as the loans were shown to be from family members and friends, and these amounts were consistent in the balance sheets of preceding years. The Tribunal upheld this deletion, noting that the balance sheets were part of the revenue department's record, and no fresh cash credits were received in the assessment year under appeal.Issue 2: Restriction of Addition to Peak Amount of Rs. 6,67,500/- instead of Rs. 15,60,067/-The CIT(A) restricted the addition to Rs. 6,67,500/- based on the peak credit theory, considering the re-deposits of cash withdrawals. However, the Tribunal found that the assessee did not provide sufficient evidence to support the peak credit theory and noted that the assessee had denied the existence of the IDBI Bank account during the assessment stage. The Tribunal set aside the CIT(A)'s order and restored the AO's addition of Rs. 11,31,000/- for cash deposits and Rs. 4,29,067/- for cheque deposits, as the additional evidence was admitted in violation of Rule 46A.Issue 3: Non-appreciation of Cheque Payments versus Cash WithdrawalsThe Tribunal noted that the CIT(A) accepted the peak theory without proper evidence or material, and the theory of withdrawal and re-deposit was not established. The Tribunal emphasized that the assessee failed to explain the source of deposits and the theory of peak credit was not applicable.Issue 4: Failure to Substantiate the Utilization of Cash DepositsThe Tribunal found that the assessee did not provide any evidence to substantiate the utilization of cash deposits for business purposes. The AO's conclusion that the deposits were unexplained investments from undisclosed sources was upheld.Issue 5: Acceptance of Additional Evidence without AO's Verification as per Rule 46A (2)The Tribunal highlighted that the CIT(A) violated Rule 46A by admitting additional evidence without providing the AO an opportunity to examine it. The CIT(A) did not record any reasons for admitting the additional evidence, and the conditions of Rule 46A were not satisfied.Issue 6: Overall Justification of CIT(A)'s OrderThe Tribunal concluded that the CIT(A) was not justified in deleting the additions based on the peak credit theory and additional evidence admitted in violation of Rule 46A. The Tribunal restored the AO's order, confirming the additions of Rs. 11,31,000/- for cash deposits and Rs. 4,29,067/- for cheque deposits.Conclusion:The appeal of the revenue was partly allowed, with the Tribunal setting aside the CIT(A)'s deletions and restoring the AO's additions. The Tribunal emphasized the importance of adhering to procedural rules and providing sufficient evidence to support claims.

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        ActsIncome Tax
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