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Issues Involved:
The appeal challenges the block assessment order concerning the addition of unexplained expenditures. Summary: Issue 1 - Addition of Unexplained Expenditures: The assessee, engaged in road construction business, faced an addition of Rs. 1,45,930 for unexplained expenses following a search operation. The Assessing Officer rejected the assessee's reliance on section 44AD for assessing income, citing Chapter XIV-B as the governing code for undisclosed income assessment. The Tribunal disagreed, noting that section 44AD applies to search cases, as per section 158BB, and overrides certain provisions. It held that under section 44AD, profits are deemed at 8% of gross receipts, covering expenses. Consequently, the addition was deleted as the expenses were within the deemed profit margin, and statutory allowances were already factored in. Grounds 5, 7, 8, 9, and 10 were disposed of accordingly. Separate Judgement: Grounds 2, 3, 4, and 6 were not pursued and dismissed. Grounds 1, 11, and 12, being general, required no specific comments. The appeal was partly allowed based on the above findings.
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