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2014 (3) TMI 1217 - AT - Income Tax


Issues Involved:
1. Withdrawal of cross objection by the assessee.
2. Deletion of addition on account of unexplained cash credit under Section 68 of the IT Act.
3. Deletion of addition on account of undervaluation of silver account.
4. Deletion of addition on account of GP on silver account.
5. Deletion of addition on account of undervaluation of gold ornaments.
6. Deletion of addition on account of gold ornaments found in a black bag during the survey.
7. Deletion of addition on account of unexplained cash credit.

Issue-wise Detailed Analysis:

1. Withdrawal of Cross Objection by the Assessee:
The counsel for the assessee sought permission to withdraw the cross objection, which was subsequently dismissed as withdrawn.

2. Deletion of Addition on Account of Unexplained Cash Credit under Section 68 of the IT Act:
The Revenue challenged the deletion of an addition of Rs. 99,770/- on account of unexplained cash credit. The Assessing Officer (AO) noted discrepancies in the cash found during a survey and added the amount as unaccounted cash. The assessee explained that the cash in the vault (Tijori) was accounted for in the books. The CIT(A) accepted this explanation, finding that the cash was reconciled and explained. The Tribunal upheld this decision, noting that the assessee had satisfactorily explained the cash availability with supporting documents.

3. Deletion of Addition on Account of Undervaluation of Silver Account:
The Revenue contested the deletion of an addition of Rs. 1,83,452/- for undervaluation of silver. The AO found discrepancies between the stock found and the stock recorded in the books, leading to an addition. The assessee argued that the survey team had valued the stock at market rates, which included gross profit. The CIT(A) accepted the assessee's explanation, noting that the survey party's valuation was correct and should not have been disturbed by the AO. The Tribunal agreed, stating that the valuation done by the survey party was based on factual investigation and was correctly accepted by the CIT(A).

4. Deletion of Addition on Account of GP on Silver Account:
The Revenue challenged the deletion of an addition of Rs. 60,789/- on account of GP on silver. The AO estimated sales and applied a GP rate, leading to an addition. The assessee argued that proper books of account were maintained and no defects were found. The CIT(A) found the addition unjustified, noting that the books of account were properly maintained and the excess stock found was surrendered and taxed. The Tribunal upheld this decision, stating that no material evidence suggested unaccounted sales.

5. Deletion of Addition on Account of Undervaluation of Gold Ornaments:
The Revenue contested the deletion of an addition of Rs. 80,774/- for undervaluation of gold ornaments. The AO found discrepancies in the stock valuation and added the amount. The assessee argued that the stock included gold of different carats, and a small stock was already surrendered. The CIT(A) accepted this explanation, noting that the stock items had different purities and the survey party was satisfied with the surrender. The Tribunal agreed, finding the addition unjustified.

6. Deletion of Addition on Account of Gold Ornaments Found in a Black Bag During the Survey:
The Revenue challenged the deletion of an addition of Rs. 10,61,752/- for gold ornaments found in a black bag. The AO doubted the ownership claims and added the amount. The assessee provided affidavits and statements from customers, explaining the ownership of the ornaments. The CIT(A) accepted this explanation, noting that the survey party was satisfied with the surrender made by the assessee. The Tribunal upheld this decision, finding the addition unjustified and noting that the assessee had satisfactorily explained the ownership of the ornaments.

7. Deletion of Addition on Account of Unexplained Cash Credit:
The Revenue contested the deletion of an addition of Rs. 1,43,000/- for unexplained cash credit. The AO made the addition in the absence of material evidence. The assessee provided affidavits and confirmations from creditors. The CIT(A) admitted these affidavits under Rule 46A and found the addition unjustified, noting that the AO should have examined the creditors if not satisfied with the explanation. The Tribunal upheld this decision, noting that the small amounts were satisfactorily explained and the additional evidence was not challenged by the Revenue.

Conclusion:
The Tribunal dismissed the departmental appeal and the cross-objection of the assessee, upholding the CIT(A)'s deletions of the various additions made by the AO. The Tribunal found that the assessee had satisfactorily explained the discrepancies and provided sufficient evidence to support their claims.

 

 

 

 

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