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ITAT upheld multiple findings from CIT(A), predominantly favoring the assessee across various contested issues. Key determinations include deletion of additions under Section 68 relating to unexplained capital and cash credits, confirmation of jewellery valuation explanations, and rejection of revenue's extrapolation claims. The tribunal consistently applied precedential principles from the assessee's previous assessment year, dismissing revenue's appeals where no distinguishable facts or legal distinctions were presented. The ITAT directed the Assessing Officer to grant telescoping benefits against unaccounted income and investments, ultimately providing substantial relief to the assessee by substantially reducing proposed additions across different categories of income and investments.