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Issues involved: Challenge to IT Department's order of Tribunal regarding assessment proceedings and penalty imposed under Section 271(1)(c) of IT Act for concealment of income.
Assessment Proceedings: The assessee, a country liquor contractor/vendor, had their account books rejected due to unverified sales. The AO estimated sales at 2-1/2 times the licence fee, applying a net profit rate of 5%. The total income was assessed at Rs. 2,03,200, higher than the declared Rs. 1,20,740. The CIT(A) set aside the penalty, noting lack of evidence proving actual sales suppression by the assessee. Net Profit Rate Explanation: The assessee argued that their disclosed net profit rate of 4.3% was reasonable based on licence fee and liquor purchases. Even though the explanation was deemed unsatisfactory, there was no evidence of lack of bona fide intention. The Tribunal upheld the CIT(A)'s decision, finding no infirmity in the order. Legal Proviso Consideration: The Tribunal's decision was supported by the proviso to Section 271(1), stating that if an explanation is bona fide and all material facts disclosed, no penalty should apply for rejected explanations. No legal question was found to arise, leading to the dismissal of the appeal.
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