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2014 (7) TMI 372 - AT - Income Tax


Issues: Cross appeals by assessee and Revenue against CIT(A) order for assessment year 2006-07 under Section 143(3) of the I.T. Act.

Analysis:
1. The AO rejected the books of account of the assessee due to incompleteness and discrepancies in cash transactions. The AO applied a net profit rate of 15% instead of the 11.39% shown by the assessee, resulting in an addition of &8377; 92,35,050.
2. The CIT(A) upheld the rejection of books but disagreed with the 15% profit rate, limiting the addition to &8377; 17,00,000 based on previous profit rates and unexplained cash transactions.
3. Assessee's representative argued against the rejection of books and the 15% profit rate, emphasizing the absence of defects pointed out by the AO and the availability of necessary information.
4. The Revenue contended that the rejection was justified due to incomplete books, unverifiable cash transactions, and unexplained loans, supporting the AO's decision to apply a 15% profit rate.
5. The ITAT found no justification for the 15% profit rate, citing the absence of higher profit rates in previous years or similar cases. The AO's rejection of books lacked sufficient reasons, and the CIT(A)'s reduction to &8377; 17,00,000 was unsubstantiated.
6. Specific issues regarding unverified cash expenditure, job work genuineness, and a cash loan were highlighted. The ITAT directed a fresh examination by the AO, emphasizing the need for detailed evidence and full opportunity for the assessee.
7. Both appeals were allowed in part for statistical purposes, with the matter remanded to the AO for reevaluation of the specified issues.

 

 

 

 

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