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1997 (5) TMI 82 - AT - Income Tax

Issues Involved:
1. Consolidation of Appeals
2. Unrecorded Purchases and Unexplained Investment
3. Addition on Account of Profit from Unrecorded Sales
4. Disallowances of Expenses
5. Deletion of Additions in Declared Trading Results
6. Levy of Interest under Sections 234B and 234C
7. Set Aside and Remand of Assessment Orders

Detailed Analysis:

1. Consolidation of Appeals
The President of the Rohtak Wholesale Cloth Merchant Association submitted an application to consolidate and hear together the appeals of various dealers of cloth in Shori Market, Rohtak, involving similar grounds and identical facts. The Tribunal agreed to consolidate these appeals and examined the facts of the main case of Ram Piyare Satish Kumar for the assessment years 1990-91 to 1992-93.

2. Unrecorded Purchases and Unexplained Investment
The Investigation Wing of the IT Department collected information indicating that various dealers of cloth in Rohtak received consignments of cloth from Ahmedabad, Surat, and Amritsar. The AO made additions on account of unexplained investment for unrecorded purchases and unaccounted profit from suppressed sales. The AO confronted the assessee with findings of unrecorded purchases, and the assessee admitted to such purchases outside the books of accounts but claimed they were on credit. The AO found this claim unbelievable and estimated the investment made for unrecorded purchases. The CIT(A) partly allowed the assessee's appeal, reducing the addition to 2% of the total unrecorded purchases, considering the necessity of transport and other expenses.

3. Addition on Account of Profit from Unrecorded Sales
The AO estimated the profit on unrecorded sales at a higher rate than what was surrendered by the assessee. The CIT(A) deleted the additional profit estimated by the AO, accepting the profit declared by the assessee. The Tribunal upheld the CIT(A)'s decision, finding no justification for interfering with the deletion of the additional profit.

4. Disallowances of Expenses
The AO made disallowances out of various expenses debited in the P&L account, such as miscellaneous expenses, commission, scooter expenses, tea expenses, and traveling expenses. The CIT(A) granted partial relief to the assessee. The Tribunal found that the CIT(A) had arrived at a proper and justified conclusion after careful consideration of the relevant facts and details and upheld the CIT(A)'s decision.

5. Deletion of Additions in Declared Trading Results
The AO made ad hoc additions to the declared trading results, citing lower G.P. rates compared to previous years and other dealers. The CIT(A) deleted these additions, stating that it is unjustifiable to compare G.P. rates year-to-year or with other traders without specific discrepancies in the books of accounts. The Tribunal agreed with the CIT(A) and rejected the Revenue's grounds for such additions.

6. Levy of Interest under Sections 234B and 234C
The CIT(A) directed the AO to charge interest under Section 234B only up to the date of determination of income under Section 143(1)(a). The Tribunal found that no appeal is maintainable against the quantum of interest under Section 234B unless the assessee denies liability entirely, which was not the case here. The Tribunal allowed the Revenue's appeal on this ground.

7. Set Aside and Remand of Assessment Orders
In the case of Subhash Chander, the Dy. CIT(A) set aside the assessment order and remanded it back to the AO for fresh assessment. The Tribunal directed the Dy. CIT(A) to decide the appeal afresh on merits, keeping in view the directions given by the Tribunal in a similar case (Birbal Naresh Kumar).

Conclusion
The Tribunal dismissed most of the appeals by the assessee and the Revenue, except for specific directions regarding interest under Section 234B and the remand of the assessment order in Subhash Chander's case. The Tribunal upheld the CIT(A)'s decisions on the main issues, including the reduction of unexplained investment additions and the deletion of additional profit on unrecorded sales.

 

 

 

 

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