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        <h1>Tribunal confirms legitimacy of brokerage income, validity of cash flow statements, and deletion of protective additions.</h1> <h3>Assistant Commissioner Of Income-Tax. Versus Smt. Ganga Devi Sanganeria L/r Of Late Matadin Sanganaria.</h3> The Tribunal upheld the CIT(A)'s decisions, confirming the legitimacy of brokerage income, the validity of cash flow statements, the deletion of ... Income From Undisclosed Sources Issues Involved:1. Legitimacy of brokerage income from money lending transactions.2. Validity of cash flow statements and unexplained investments.3. Protective additions based on seized diaries.4. Explanation for gold ornaments and silver articles found during the search.Detailed Analysis:1. Legitimacy of Brokerage Income from Money Lending Transactions:The assessee, engaged in brokerage and commission, was subject to a search that revealed incriminating documents. The AO initiated proceedings under s. 147 and assessed income from brokerage in money lending. The AO doubted the brokerage income before 1981, but the CIT(A) observed that the seized diaries indicated money lending transactions prior to 1982, confirming the existence of brokerage income in earlier years. The Tribunal agreed with CIT(A), noting that the assessee had been assessed for earlier years and the seized diaries supported the claim of brokerage income from money lending.2. Validity of Cash Flow Statements and Unexplained Investments:The AO prepared cash flow statements showing shortfalls in various assessment years, leading to additions for unexplained investments. The CIT(A) accepted the assessee's claim of funds from HUF and brokerage income, which covered the cash deficits. The Tribunal upheld CIT(A)'s decision, noting that the HUF had an affluent past and sufficient evidence was provided for the availability of funds. The Tribunal found no reason to disbelieve the accumulation of capital in the HUF and deleted the additions for unexplained investments.3. Protective Additions Based on Seized Diaries:The AO made protective additions based on entries in seized diaries, suspecting the assessee advanced cash loans. However, the CIT(A) and Tribunal found that the entries pertained to other creditors, and substantive additions were made in their hands. The Tribunal noted that the Lakhotia group was the actual investor, and the assessee acted as a broker. The Tribunal upheld CIT(A)'s deletion of protective additions, confirming that the funds belonged to the Lakhotia group.4. Explanation for Gold Ornaments and Silver Articles Found During the Search:During the search, gold and silver articles were found, and the AO treated part of them as unexplained. The assessee provided an affidavit from a family member detailing the gifts received at the time of marriage in 1942. The CIT(A) accepted the explanation, noting the family's affluent status and the antiquated nature of the ornaments. The Tribunal agreed with CIT(A), stating that the Department did not provide contrary evidence and upheld the deletion of additions for unexplained jewellery and silver articles.Conclusion:The Tribunal dismissed the Revenue's appeals and upheld the CIT(A)'s decisions, confirming the legitimacy of brokerage income, the validity of cash flow statements, the deletion of protective additions, and the explanation for gold and silver articles found during the search. The cross-objections by the assessee, supporting CIT(A)'s order, were also disposed of accordingly.

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