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    Contractual interest liability on capital bond funds was deductible against related interest income under the agreement.
    Unexplained jewellery additions fail where family customs, gifts, bills and bank records support reasonable possession and ownership.
    Transfer pricing adjustment on interest to an associated enterprise remanded after admission of additional evidence.
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    Development agreement possession for limited construction purposes did not create a taxable transfer; capital gains addition deleted.
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    Related party control and cooperative status in anti-dumping review turned on pledge security and relevant dumping data.
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Additions founded on uncorroborated seized loose papers and...

Uncorroborated seized documents cannot sustain income additions; DVO valuation and unexplained credit claims rejected without corroboration.

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Income Tax March 16, 2026 Case Laws AT
Additions founded on uncorroborated seized loose papers and undated marketing 'welcome' letters, and extrapolation of alleged sales using portal rates, are unsustainable where no receipts, bank trail, agreements or buyer admissions exist; such additions were deleted. Reliance on a DVO valuation to estimate unaccounted construction expenditure was held arbitrary where payments appeared in books with bank credits and TDS and no independent enquiry supported out of books spending; that addition was deleted. Higher gross profit in jewellery was not treated as unexplained credit where audited books, stock records and verifiable purchases supported receipts. Unsecured loans supported by bank evidence, confirmations and repayments were not taxable as unexplained credit. Approval under section 153D was found valid.

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Acts Income Tax