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2006 (10) TMI 127 - HC - Income Tax

Issues: Assessment based on net profit rate, additions on unexplained cash credit, application of estimate in best judgment assessment, relevance of section 44AD in determining profit rate.

The judgment pertains to an appeal where the respondent, a civil construction contractor, had their assessment order passed by the Assessing Officer based on a net profit rate of 12.5% on the turnover shown. The AO also made additions due to unexplained cash credit found in the books. The Commissioner of Income-tax (Appeals) provided relief by deleting the additions on the grounds that it was the first year of business for the assessee, and the cash credits were offset by the additions in the returned income. The Tribunal affirmed these findings. The court noted that in the first year of business, there may be guesswork in assessments, and exactitude cannot be expected. The application of a net profit rate of 8% under section 44AD for assessing minimum income from the business was considered, and the assessee's income was restricted to 8%. The court found no substantial question of law in these matters and dismissed the appeal.

The judgment emphasizes that while section 44AD was not mandatory for the assessment year in question, the rate required for businesses where the income returned was less than 8% of gross receipts could be relevant in estimating income from similar businesses in earlier years. The court held that this consideration was not irrelevant, and the findings regarding the investment through cash credit from the first year's income were also deemed relevant. Consequently, the court concluded that no substantial questions of law arose in the appeal, leading to the dismissal of the appeal.

 

 

 

 

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