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Issues:
- Dispute over estimate of gross profit - Disallowance in shop expenses Analysis: The appeals were filed by the assessee against the order of the learned AAC for the assessment years 1972-73 & 1973-74, focusing on the estimate of gross profit and disallowance in shop expenses. The assessee, a registered firm dealing in umbrellas, woollen cloth, hosiery, etc., disclosed gross profits at 13.4% and 12.5% for the respective years. The Income Tax Officer (ITO) estimated gross profit at 14% for both years, citing defects in accounts and lack of sales bifurcation. However, it was noted that the assessee was not a manufacturer of umbrellas but assembled parts on a wholesale basis. The bills produced contained detailed sales information, supported by vouchers, with no evidence of sales suppression or purchase inflation. The ITO's rejection of trading accounts under section 145(1) was deemed unwarranted, especially as the ITO failed to examine available details. The Tribunal found no justification for rejecting the book results and directed acceptance of the disclosed gross profit for both years. Regarding shop expenses, the ITO had disallowed Rs. 3,000 per year, which was reduced to Rs. 1,500 per year by the Tribunal as fair and reasonable. After considering the expenses claimed and previous disallowances, the assessee was granted relief of Rs. 1,500 for each of the assessment years 1972-73 and 1973-74. Consequently, the appeals were partly allowed, addressing the issues of gross profit estimation and shop expenses disallowance satisfactorily.
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