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2016 (9) TMI 594 - AT - Income Tax


Issues Involved:
1. Whether the assessment completed u/s 143(1) can be considered in assessment proceedings u/s 153A without finding any incriminating materials during search.
2. Addition of ?2,74,664/- on account of sale of gold/silver jewellery.
3. Addition of ?2,40,000/- as unexplained income from gifts.
4. Estimation of higher profit on turnover by the AO and CIT(A).
5. Application of provisions of section 44AD for turnover exceeding ?40 lakhs.

Detailed Analysis:

Issue 1: Assessment under Section 153A without Incriminating Materials
- The assessee raised the issue of whether assessments completed under section 143(1) can be reopened under section 153A without any incriminating materials found during the search.
- Both parties presented arguments and case laws, but the assessee expressed willingness to withdraw this issue.
- The Tribunal dismissed this ground as not pressed.

Issue 2: Addition of ?2,74,664/- for Sale of Gold/Silver Jewellery
- The assessee declared income from the sale of silver utensils and gold ornaments, claiming these were purchased before AY 1981-82 and disclosed under VDIS 1997.
- The AO added ?2,74,668/- to the income due to the absence of documentary evidence supporting the purchase/possession of these ornaments.
- The CIT(A) upheld the AO’s decision, noting the lack of VDIS 97 certificate and supporting documents.
- The Tribunal found no reason to interfere with the CIT(A)'s order and dismissed the assessee's appeal on this ground.

Issue 3: Addition of ?2,40,000/- as Unexplained Income from Gifts
- The assessee claimed to have received gifts totaling ?2,40,000/- from three individuals.
- The AO disallowed these gifts due to the lack of substantiating documents.
- The CIT(A) upheld the AO’s decision, noting that confirmations from the donors were not provided.
- The Tribunal agreed with the CIT(A) and dismissed the appeal on this ground.

Issue 4: Estimation of Higher Profit on Turnover
- For AY 00-01, the AO estimated a profit of 12% on the turnover due to fluctuating GP ratios and absence of books of accounts, while the CIT(A) reduced it to 7%.
- The Tribunal found that the assessee’s loss was due to interest expenses on loans used for business and limited the net profit estimation to 4% of the turnover.
- For AYs 03-04 and 05-06, similar issues were raised, and the Tribunal applied consistent reasoning, allowing the appeals in part and directing the AO accordingly.

Issue 5: Application of Section 44AD for Turnover Exceeding ?40 Lakhs
- For AY 02-03, the AO applied an 8% profit rate under section 44AD, which is applicable for turnovers up to ?40 lakhs.
- The CIT(A) confirmed this, but the Tribunal noted that section 44AD should not apply to turnovers exceeding ?40 lakhs.
- The Tribunal restricted the net profit estimation to 6%, considering it reasonable and avoiding further litigation.

General Grounds:
- General grounds raised in various appeals were found to be non-specific and did not require separate adjudication.

Conclusion:
- The appeal for ITA No.1906/Kol/2009 was dismissed.
- The remaining appeals were allowed in part, with directions to the AO for re-computation based on the Tribunal’s findings.

Order Pronounced:
- The order was pronounced in the open court on 03/08/2016.

 

 

 

 

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