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Issues Involved:
1. Suppression of room rent receipts. 2. Suppression of restaurant and bar sales. 3. Rejection of book results. 4. Estimation of income. 5. Charging of interest under Section 234B. 6. Awarding of costs. Detailed Analysis: 1. Suppression of Room Rent Receipts: The assessee, running a hotel, declared a loss of Rs. 1,94,385. The AO was dissatisfied with the books of account due to discrepancies in the number of rooms and their tariff structure. The AO noted the shifting stand of the assessee regarding the number of rooms and their tariffs, discrepancies in pillow covers and bed sheets usage, and suggested adopting an average room rent of Rs. 1,500 per room. The AO calculated a difference of more than Rs. 50 lakhs in room tariff receipts. The CIT(A) provided some relief, reducing the addition on account of room tariff suppression to Rs. 29,56,458 from Rs. 36.69 lakhs. The Tribunal found that the AO's method of estimating room rent based on pillow covers was flawed and that the actual room rent details provided by the assessee were more reliable. 2. Suppression of Restaurant and Bar Sales: The AO observed a high ratio of cost of material to sales in the assessee's restaurant and bar compared to other hotels. The AO estimated suppressed sales of Rs. 18,52,660 and added Rs. 14,82,128 to the income after allowing for wastage and pilferage. The CIT(A) did not grant any relief on this matter. The Tribunal found the AO's comparison with other hotels inappropriate, noting that pricing patterns vary widely among different hotels. 3. Rejection of Book Results: The AO rejected the book results under Section 145(3) due to various discrepancies, including the number of rooms, pillow covers usage, and non-production of a guest entry register. The Tribunal found that the AO did not point out any specific defects in the books and relied on hypothetical estimates. The Tribunal emphasized that income tax should be based on actual income, not hypothetical figures. 4. Estimation of Income: The AO estimated the income based on average room rent and cost of material to sales ratio. The CIT(A) partially upheld these estimates but provided some relief. The Tribunal found the AO's estimates to be based on flawed assumptions and directed the deletion of the additions made on hypothetical grounds. 5. Charging of Interest under Section 234B: This issue was deemed consequential and disposed of accordingly by the Tribunal. 6. Awarding of Costs: The assessee's request for awarding costs was denied by the Tribunal, which found no basis for awarding costs against the Revenue. Conclusion: The Tribunal concluded that the AO's rejection of the book results and estimation of income were unjustified. The Tribunal directed the deletion of the additions made by the AO on hypothetical grounds, thus partly allowing the assessee's appeal and dismissing the Revenue's appeal.
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