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1965 (9) TMI 54 - HC - Income Tax

Issues:
1. Whether the estimate of gross profit at 17% could be sustained.

Analysis:
The judgment by the Andhra Pradesh High Court, delivered by Jaganmohan Reddy J., pertains to a case where the Income-tax Officer made a "best judgment" assessment for an assessee, a Hindu undivided family engaged in business, due to defective and unreliable account books. The Income-tax Officer estimated the gross profit at 17% based on a total sale of Rs. 1,00,000, resulting in an assessment of Rs. 9,476 after deducting the disclosed loss of Rs. 2,049. The Appellate Assistant Commissioner and the Tribunal upheld this estimate, stating it was fair considering the nature of goods dealt in by the assessee.

The High Court criticized the basis of the estimate by the tax authorities, emphasizing the lack of reasoning and opportunity for the assessee to rebut the estimation. The Court highlighted the necessity for income-tax authorities to provide a clear basis for their estimates and allow the assessee to challenge it, citing previous judgments reinforcing this principle. The Court found fault with the authorities for not disclosing the rationale behind the 17% gross profit estimate and concluded that the assessee was not given a fair opportunity to contest the estimation.

In light of the above analysis, the High Court ruled in favor of the assessee, stating that the estimate of gross profit at 17% could not be sustained due to the lack of transparency and opportunity for the assessee to challenge the estimation. The Court emphasized the importance of providing a basis for assessments and allowing the assessee a fair chance to respond. The reference was answered in the negative, favoring the assessee, with costs imposed on the department.

 

 

 

 

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