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Issues:
1. Addition of Rs. 71,515 on account of work in progress. 2. Assessment based on wrong entry in accounts. 3. Mistake made by the accountant. 4. Justification of the addition by the Assessing Officer. 5. Appeal against the addition. Analysis: 1. The appeal was filed against the order confirming the addition of Rs. 71,515 on account of work in progress made by the Assessing Officer. The initial return of income declared Rs. 61,245, but the assessment under section 143(3) included various additions, including the disputed amount. The first appeal before the Ld. CIT(A) resulted in the deletion of some additions but confirmed the Rs. 71,515 addition for work in progress. 2. The second appeal before the Tribunal resulted in the assessment being set aside with directions to reevaluate the matter based on the revised return. The Assessing Officer found that the bills receivable amount of Rs. 71,515 was mistakenly included in the trading account under "Work in Progress." The accountant's lack of proper accounting knowledge led to this error, impacting the assessment outcome. 3. The appellant argued that the accountant's mistake should not penalize the assessee, citing previous decisions and emphasizing that the entry should have been under bills receivable, not work in progress. The Assessing Officer's order acknowledged the accounting error due to improper knowledge of accounts. 4. The Tribunal observed that the wrong entry did not affect the income shown by the assessee, as both the work in progress and bills receivable were accounted for in the balance sheet. The Assessing Officer's addition based on this error was deemed unjustified, as he should have considered the mistake as a bona fide error and not a deliberate attempt to suppress income. 5. Ultimately, the Tribunal concluded that the addition of Rs. 71,515 was deleted, recognizing it as a genuine mistake made by the accountant. The decision highlighted the Assessing Officer's duty to pass a well-founded assessment order based on facts and not take advantage of an assessee's lack of accounting knowledge. The appeal of the assessee was allowed based on these findings.
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