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Ruling upholds seizure and notebooks as proof of large-scale suppressed turnover; burden shifted to taxpayer to rebut

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....The HC affirms that inspection and seizure disclosed largescale suppression of purchases, sales and stock; private notebooks and an admission at inspection established transactions outside books. Once suppression was established, the burden shifted to the respondent to prove the entries were mere job-work ("coolie conversion"), which was not discharged and was raised only on appeal. The Assessing Officer's determination of suppressed turnover, grounded on seized material and contemporaneous statements, was upheld as evidentiary and rational. The Appellate Assistant Commissioner's and Tribunal's deletions of assessed turnover were set aside. The Assessing Officer's order is restored, the tax revision is allowed, and the substantial questions of law are answered in favour of the Revenue.....