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Issues Involved:
The issues involved in this case are the addition of pack up income and the addition on account of suppression of liquor sale. Addition of Pack Up Income: The appellant, a private limited company, was found to have suppressed income from its business activities during assessment years 1998-99 to 2004-05. The Assessing Officer (AO) estimated the pack up income for the current year at a higher amount than declared by the appellant, resulting in an addition of Rs. 1,14,44,964. The AO also made an addition on account of suppression of liquor sale, observing discrepancies in menu card rates. The Commissioner of Income Tax (Appeals) upheld these additions. However, the Tribunal found that the AO's estimation was based on the preceding year without considering the factual details of the current year, where two dance floors were under renovation. The Tribunal held that when book results are available and audited, estimation should not be resorted to, and deleted the addition of Rs. 1,14,44,964. Suppression of Liquor Sale: Regarding the addition on account of liquor sales, the Tribunal referred to a previous order in the appellant's own case where a similar addition was deleted. The Tribunal noted that the assessing officer had made the addition based on a menu card with higher rates, but there was no evidence of actual receipt of money at those rates. As the only evidence was the menu card, the Tribunal found the addition to be based on presumption and deleted the addition of Rs. 4,72,084 for this assessment year. In conclusion, the Tribunal allowed the appeal filed by the assessee, deleting both the additions of Rs. 1,14,44,964 and Rs. 4,72,084.
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