153A .
It is not the case of the assessee that the seized document is not pertaining
to him. It is not the case ... not partner of the JV with Mr.
R. K. Verma. It is not the case of the assessee that the seized documents were not
confronted
Kiran Fine Jewellers Private ... vs Deputy Commissioner Of Income Tax, ... on 25 February, 2025
vk
153A .
It is not the case of the assessee that the seized document is not pertaining
to him. It is not the case ... not partner of the JV with Mr.
R. K. Verma. It is not the case of the assessee that the seized documents were not
confronted
differ.
Therefore, this inference is not found to be sustainable.
Further, the inferences drawn by the AO is not not supported by
any corroborative evidence ... recovered was not confronted during the search with regard to
contents of this excel sheet. However, during the remand proceedings he
has not stated anything
differ.
Therefore, this inference is not found to be sustainable.
Further, the inferences drawn by the AO is not not supported by
any corroborative evidence ... recovered was not confronted during the search with regard to
contents of this excel sheet. However, during the remand proceedings he
has not stated anything
differ.
Therefore, this inference is not found to be sustainable.
Further, the inferences drawn by the AO is not not supported by
any corroborative evidence ... recovered was not confronted during the search with regard to
contents of this excel sheet. However, during the remand proceedings he
has not stated anything
differ.
Therefore, this inference is not found to be sustainable.
Further, the inferences drawn by the AO is not not supported by
any corroborative evidence ... recovered was not confronted during the search with regard to
contents of this excel sheet. However, during the remand proceedings he
has not stated anything
differ.
Therefore, this inference is not found to be sustainable.
Further, the inferences drawn by the AO is not not supported by
any corroborative evidence ... recovered was not confronted during the search with regard to
contents of this excel sheet. However, during the remand proceedings he
has not stated anything
statement the
assessee was also confronted with the documents found during the
search proceedings which he admitted as his document and furnish
his explanation thereon ... explanation on the aforesaid documents. He was asked to explain
how the brokerage income on the transaction found in aforesaid
documents and the receipts were
Dcit, Central Circle-2, Jaipur, ... vs Smt. Kalawati Sharma C-42, Gokul Path ... on 18