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2015 (5) TMI 504 - AT - Income Tax


Issues Involved:
1. Deletion of addition under section 43B of the I.T. Act, 1961 for late deposit of employees' contribution to the Provident Fund.
2. Deletion of addition on account of suppression of production of sugar and its sale.
3. Deletion of addition on account of production of Baggasse and its sale.
4. Deletion of addition on account of closing stock of sugar including the Excise Duty.
5. Deletion of addition on account of low production/yield of Bagasse.
6. Deletion of addition on account of low yield of sugar.
7. Deletion of addition on account of suppressed production and sale of Molasses.
8. Deletion of addition on account of employer and employees' contribution to PF & GIS.

Issue-wise Detailed Analysis:

1. Deletion of Addition under Section 43B for Late Deposit of Employees' Contribution to Provident Fund:
The Revenue's appeal contested the deletion of Rs. 47,99,382/- added by the Assessing Officer (AO) for late deposit of employees' PF contributions. The Tribunal observed that in the previous assessment year (2007-08), it was held that the entire PF contribution deposited before the due date of filing the return is allowable as per the amended provisions of section 43B. The CIT(A) confirmed that all amounts were deposited before the due date. Respecting the prior Tribunal decision, the Tribunal declined to interfere with the CIT(A)'s order, rejecting Ground No. 1.

2. Deletion of Addition on Account of Suppression of Production of Sugar and Its Sale:
The Revenue appealed against the deletion of Rs. 3,37,96,178/- added by the AO for alleged suppression of sugar production and its sale. The Tribunal noted that in the previous year, a similar addition was deleted because the AO's basis of comparison with another mill's yield was insufficient. The Tribunal emphasized that sugar production is under the Excise Department's supervision, and no adverse findings were recorded by them. With identical facts in the current year, the Tribunal upheld the CIT(A)'s order and rejected Ground No. 2.

3. Deletion of Addition on Account of Production of Baggasse and Its Sale:
The Revenue challenged the deletion of Rs. 38,41,184/- added by the AO for unaccounted production and sale of Baggasse. The Tribunal referred to the previous year's decision, where it was held that the production of sugar and its by-products is under excise control, and no specific instances of unrecorded sales were pointed out by the AO. The Tribunal found no difference in facts for the current year and upheld the CIT(A)'s order, rejecting Ground No. 3.

4. Deletion of Addition on Account of Closing Stock of Sugar Including Excise Duty:
The Revenue contested the deletion of Rs. 4,08,94,043/- added by the AO for closing stock valuation discrepancies, including excise duty. The Tribunal noted that in the previous year, the matter was remanded to the CIT(A) for a fresh decision due to insufficient findings. Following the same, the Tribunal set aside the CIT(A)'s order and remanded the matter for a reasoned decision after providing both sides an opportunity to be heard, allowing Ground No. 4 for statistical purposes.

5. Deletion of Addition on Account of Low Production/Yield of Bagasse:
For the assessment year 2008-09, the Revenue appealed against the deletion of Rs. 29,31,485/- added by the AO for low Bagasse yield. The Tribunal found the issue covered by the previous year's decision, where the addition was deleted due to lack of documentary evidence and specific findings. With no difference in facts, the Tribunal upheld the CIT(A)'s order and rejected Ground No. 1 for 2008-09.

6. Deletion of Addition on Account of Low Yield of Sugar:
The Revenue challenged the deletion of Rs. 1,00,20,843/- added by the AO for low sugar yield in 2008-09. The Tribunal noted that the issue was covered by the previous year's decision, where similar additions were deleted due to lack of evidence. With identical facts, the Tribunal upheld the CIT(A)'s order and rejected Ground No. 2 for 2008-09.

7. Deletion of Addition on Account of Suppressed Production and Sale of Molasses:
The Revenue appealed against the deletion of Rs. 75,24,770/- added by the AO for suppressed production and sale of molasses in 2008-09. The Tribunal found that the AO's basis was incorrect as the actual production disclosed by the assessee was almost equal to the AO's estimate. Hence, the Tribunal upheld the CIT(A)'s order and rejected Ground No. 3 for 2008-09.

8. Deletion of Addition on Account of Employer and Employees' Contribution to PF & GIS:
The Revenue contested the deletion of Rs. 2,89,588/- and Rs. 1,07,00,024/- added by the AO for late deposit of PF & GIS contributions in 2008-09. The Tribunal noted that the CIT(A) decided based on timely deposit before filing the return, which was not contradicted by the Revenue. Following the previous year's decision, the Tribunal upheld the CIT(A)'s order and rejected Grounds No. 4 and 5 for 2008-09.

Conclusion:
The appeal for the assessment year 2006-07 was partly allowed for statistical purposes, while the appeal for the assessment year 2008-09 was dismissed.

 

 

 

 

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