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2021 (3) TMI 475 - AT - Income Tax


Issues Involved:
1. Jurisdiction and validity of assessment orders under Section 153A of the Income Tax Act.
2. Disallowance of expenses for the assessment year 2005-06.
3. Addition based on seized material for the assessment year 2009-10.

Issue-wise Detailed Analysis:

1. Jurisdiction and Validity of Assessment Orders under Section 153A:
The assessee challenged the jurisdiction and validity of the assessment orders passed under Section 153A of the Income Tax Act for both assessment years 2005-06 and 2009-10. The contention was that no incriminating material or undisclosed income was found during the search operations conducted on 27.08.2009. However, the tribunal observed that several additions were made based on materials/documents seized during the search. Consequently, the tribunal dismissed Grounds No. 1 and 2 raised by the assessee, affirming the jurisdiction and validity of the assessment orders under Section 153A.

2. Disallowance of Expenses for the Assessment Year 2005-06:
The assessee contested the disallowance of ?14,77,400/- towards sales promotion expenses. The assessee argued that the provision for these expenses was made at 6% of total sales as per the sales promotion scheme, and the liability was incurred in the assessment year 2005-06, although payments were made in the subsequent year. The tribunal noted that the authorities below had disallowed these expenses, with the Assessing Officer (AO) treating them as bogus and the Commissioner of Income Tax (Appeals) [CIT(A)] considering them contingent and improperly estimated.

The tribunal found that the claim of sales promotion expenses was not adequately verified by the AO and that the assessee failed to provide sufficient evidence, such as the sales promotion scheme and detailed working of the expenses. Consequently, the tribunal remitted the matter back to the AO for fresh consideration, directing the assessee to submit all relevant details and documents. The AO was instructed to provide proper and adequate opportunity of being heard to the assessee and to admit evidences filed by the assessee in its defense.

3. Addition Based on Seized Material for the Assessment Year 2009-10:
The addition for the assessment year 2009-10 was based on the difference between amounts reflected in seized materials during the search and the audited financial statements. The AO adopted the profit reflected in the seized tally accounts, while the CIT(A) confirmed the addition for the differential in the closing stock amounting to ?1,79,15,749/-.

The tribunal observed that the assessee failed to substantiate its claim of reconciliation and did not produce stock registers to demonstrate the consumption of raw materials, consumables, and packing materials. The tribunal noted that year-end adjustments are common while finalizing audited financial statements and that the assessee's accounts should reflect the true and fair view of the business.

Given the complexity and the need for detailed verification, the tribunal remitted the matter back to the AO for fresh consideration. The assessee was directed to provide all relevant records, including unit-wise accounts, stock records, excise records, and VAT records, to reconcile the differences. The AO was instructed to ensure that the expenses were genuine and incurred wholly and exclusively for the business purposes of the assessee.

Conclusion:
Both appeals filed by the assessee for the assessment years 2005-06 and 2009-10 were allowed for statistical purposes, with directions for fresh consideration and verification by the AO. The tribunal emphasized the need for adequate opportunity of being heard and proper verification of all relevant details and documents in accordance with the principles of natural justice.

 

 

 

 

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