Dismissing the appeal of the assessee the Court held that the observations of the tax authorities were on independent examination of the case and not entirely resting on the case which had been set up by the CBI. As far as the Income-tax proceedings were concerned, since the explanation offered by the assessee had not been found to be satisfactory, the addition was in accordance with law. (AY.2011-12)
Jatinder Pal Singh v. Dy. CIT (2021) 432 ITR 293 / 201 DTR 353 / 320 CTR 830 / 281 Taxman 624 (Delhi)(HC)
S. 69A : Unexplained money-Burden is on assessee-Raid by the CBI No satisfactory explanation addition is held to be justified.