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2016 (3) TMI 637 - AT - Income Tax


Issues Involved:
Assessee's appeal against order passed by CIT(A)-I, Lucknow for assessment year 2008-09. Grounds raised by assessee: Extra Profit Addition, Telephone Expenses, Traveling Expenses, Depreciation Disallowance, Legal & Professional Expenses Disallowance, Disallowance u/s 40a(ia), Difference in Capital A/c.

Detailed Analysis:

1. Extra Profit Addition:
- CIT(A) confirmed addition of Rs. 9,30,587 based on discrepancies in sales, debtors, and lack of substantiation.
- CIT(A) noted previous gross profit rates of 6.88% and 7.44%, justifying the 5% rate applied by AO.
- Tribunal found no reason to interfere with CIT(A)'s decision due to lack of sales details and low substantiation.

2. Telephone Expenses Disallowance:
- Disallowance of Rs. 57,988 (5% of total) upheld, as no separate phone for personal use was maintained by the assessee.

3. Traveling Expenses Disallowance:
- CIT(A) disallowed Rs. 3,92,660 due to lack of supporting documents like bills or explanations for travels.
- Tribunal upheld the decision, emphasizing the need for proper substantiation for business expenses.

4. Depreciation Disallowance:
- Disallowance of Rs. 1,67,608 on furniture upheld as unexplained cash payments for furniture addition during business closure.
- Disallowance on old assets like computer and generator was deleted as business was ongoing.

5. Legal & Professional Expenses Disallowance:
- Disallowance of Rs. 1.85 lac out of Rs. 2.17 lac upheld due to lack of bill/voucher submission.
- Partial relief of Rs. 32,000 allowed for payment to Chartered Accountants, but remaining disallowance justified by CIT(A).

6. Disallowance u/s 40a(ia):
- Disallowance of Rs. 2.56 lac upheld as the assessee was liable to deduct TDS under section 194C.

7. Difference in Capital Account:
- Addition of Rs. 1,25,030 due to unexplained difference between net profit transferred and shown in profit & loss account was upheld.
- Assessee failed to reconcile the difference, leading to confirmation of the addition.

Conclusion:
- Tribunal partly allowed the appeal, upholding most disallowances based on lack of substantiation and explanations provided by the assessee. The decision was based on detailed analysis of each issue raised in the appeal.

 

 

 

 

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