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Issues involved: Appeal against the order passed by CIT(A) regarding estimation of income u/s 44AD for assessment year 2007-08.
Revenue's Grounds: 1. CIT(A) erred in law and facts. 2. Discrepancy in estimation of gross receipts compared to similar cases. 3. Application of sections 30 to 44D when books are rejected. Assessee's Cross Objection: Supports CIT(A)'s order. Facts: Assessee, a construction company, filed return for AY 2007-08 with total income of Rs. 55,64,210. AO rejected books, estimated income at 10% of contract receipt. CIT(A) directed income estimation at 6% on gross receipts and 3% on hire charges. Revenue appealed. Judgment: Assessee's books not reliable, discrepancies found. AO rightly rejected books. Profit estimation varies based on factors like location, raw material availability. Tribunal considered 8% estimation reasonable based on similar cases. Directed AO to estimate income at 8% of gross contract receipt. Depreciation: Section 44AD restricts further deductions. Claim of depreciation on estimated income not justified. Partner's Salary: Proviso to section 44AD(2) allows deduction of partner's salary from income. Payment of salary to partner allowed subject to limitations under section 40(b). Precedent: Judgment of jurisdictional High Court not applicable due to changes in law. Salary paid to partner allowed separately from estimated income. Outcome: Revenue's appeal partly allowed, Assessee's Cross Objection dismissed. Salary to partner allowed as per limitations.
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