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1986 (12) TMI 86 - AT - Income Tax

Issues:
1. Valuation of closing stock under dispute.
2. Allegation of under-valuation of closing stock.
3. Treatment of stones studded in ornaments.
4. Discrepancies in quantity of stocks.
5. Application of gross profit rate in assessment.

Analysis:
1. The judgment involves cross-appeals concerning the valuation of closing stock for the assessment year 1981-82. The assessee contested the addition of Rs. 21,405 on account of closing stock undervaluation, while the revenue sought relief of Rs. 46,888 out of the total addition of Rs. 68,294 made in the assessment related to trading results.

2. The assessee, engaged in the purchase and sale of gold ornaments, faced scrutiny from the Income Tax Officer (ITO) due to discrepancies in stock valuation. The ITO noted inconsistencies in the closing stock valuation, unverified ornaments with goldsmiths, and unaccounted stones in purchased ornaments. The Assessment Commissioner (AAC) accepted some contentions but upheld the under-valuation of closing stock.

3. The AAC acknowledged the absence of variation in opening stock but rejected the assessee's claim of valuing closing stock at cost due to lack of evidence linking it to specific purchases. The treatment of stones studded in ornaments was also debated, with the AAC ultimately siding with the assessee's explanation regarding the negligible value of such stones.

4. The Appellate Tribunal emphasized that discrepancies in the quantity of stocks could not be a basis for additional assessment, given the strict oversight by Central Excise authorities over the assessee's trading activities. While the AAC's decision on under-valuation of closing stock was upheld, an estimation of Rs. 5,000 was added for unaccounted stones studded in purchased ornaments.

5. The Tribunal rejected the application of an 80% gross profit rate by the assessing officer, deeming it misconceived for the type of trade conducted by the assessee. Consequently, the assessee's appeal regarding the retained addition for under-valuation of closing stock was dismissed, but the revenue's appeal was partly allowed by restoring the Rs. 5,000 addition for unaccounted stones.

 

 

 

 

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