Faizan Uddin, J. - The question of law referred in this reference u/s 256(2) of the IT Act, 1961, is as follows :
Whether on the facts and in the circumstances of the case it was open to the IT Authorities to investigate into the genuineness of the deposits
aggregating Rs. 15,826 and record a finding in regard thereto when disclosure petitions made by Smt. Kapooridevi and Virendra Kumar u/s 24 of
the Finance (No. 2) Act of 1965 had been acted upon by the IT Authorities ?
2. The disclosures under the Finance Act No. 2 of 1965 were made by Smt. Kapoori Devi, the wife of the Karta, and Virendra Kumar, his major
son. The question is whether in the assessment proceedings against the HUF the IT Authorities can investigate into the genuineness of the deposits
which were subject-matter of disclosure. The point in our opinion, is entirely covered against the assessee by the decision of the Supreme Court in
Jamnaprasad Kanhaiyalal Vs. Commissioner of Income Tax, M.P., Bhopal, and by the decision of this Court in Addl. Commissioner of Income
Tax Vs. Samrathmal Santoshchand, . The facts in the instant case are quite similar to the facts in Samrathmal Santoshchands case. Following these
decision, our answer to the question is that the IT Authorities have jurisdiction to investigate into the genuineness of the deposits. There will be no
order as to costs of this reference.