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2018 (7) TMI 872 - AT - Income Tax


Issues:
1. Addition towards unexplained sources for peak credits in ICICI Bank Account.
2. Gross profit addition on unaccounted purchases.

Analysis:

Issue 1: Addition towards unexplained sources for peak credits in ICICI Bank Account:
- The appeal was against the order of the Commissioner of Income Tax (Appeals) regarding the assessment year 2007-08.
- The Assessing Officer (A.O.) found unexplained cash deposits in the ICICI Bank account not disclosed in books of accounts.
- The A.O. assessed the peak credits at ?50,89,252 as income under "unexplained sources."
- The CIT(A) upheld an addition of ?5 lakhs instead of the A.O.'s amount.
- The revenue appealed, arguing for the higher amount based on cash deposits totaling ?73,88,902.
- The AR contended that the correct peak credit balance was ?5 lakhs, considering all debits and credits in the account.
- The Tribunal found the transactions to be unaccounted for and directed the A.O. to rework the peak credit balance, considering all cash deposits, withdrawals, and undisclosed entries.

Issue 2: Gross profit addition on unaccounted purchases:
- The A.O. estimated gross profit at 40.25% on unaccounted purchases of ?60,86,864.
- The CIT(A) reduced the addition to 15% of gross profit, amounting to ?9,39,029.
- The revenue appealed for the higher estimation, citing lack of evidence for lower profit.
- The AR argued for a more reasonable profit estimation.
- The Tribunal noted the lack of evidence supporting the higher estimation and upheld the CIT(A)'s decision to maintain the 15% gross profit addition.
- Both the revenue's appeal and the assessee's cross objection were partly allowed for statistical purposes.

In conclusion, the Tribunal directed the A.O. to rework the peak credit balance in the ICICI Bank account and upheld the 15% gross profit addition on unaccounted purchases, dismissing the appeals and cross objections accordingly.

 

 

 

 

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