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2024 (9) TMI 1514 - AT - Income Tax


Issues Involved:
1. Deletion of addition of Rs. 2,12,95,900 as unaccounted receipts.
2. Reliability of statements from Samiti members.
3. Consistent accounting practice and tax neutrality.
4. Rejection of books of accounts by the Assessing Officer.

Issue-wise Detailed Analysis:

1. Deletion of Addition of Rs. 2,12,95,900 as Unaccounted Receipts:
The Revenue challenged the CIT(A)'s decision to delete the addition of Rs. 2,12,95,900 made by the Assessing Officer (AO) as unaccounted receipts. The AO observed an increase in sundry creditors and added the amount as income, arguing that the assessee had not accounted for these receipts. The CIT(A) found that the AO's addition was based solely on the statements of Samiti members without corroborating documentary evidence. The CIT(A) noted that the statements were self-contradictory and inconsistent with the documentary evidence, such as ledger accounts, bank statements, and work completion certificates. The CIT(A) concluded that the AO's decision was not justified and directed the deletion of the addition.

2. Reliability of Statements from Samiti Members:
The CIT(A) found that the statements of Samiti members were unreliable as they were contradictory to the documentary evidence. The AO relied heavily on these statements, which claimed that payments were made only after work completion and no advances were given. However, the CIT(A) highlighted various inconsistencies in these statements and noted that the AO did not allow the assessee to cross-examine the Samiti members. The CIT(A) emphasized that the statements were recorded under pressure and were not credible. The tribunal upheld this view, stating that the statements alone could not be the basis for the addition without supporting evidence.

3. Consistent Accounting Practice and Tax Neutrality:
The CIT(A) accepted the assessee's consistent accounting practice of recognizing revenue only upon completion of specific stages of work. The assessee argued that this practice was followed in previous and subsequent years without objection from the Revenue. The CIT(A) supported this by citing the Supreme Court's decision in Radhasoami Satsang vs. CIT, emphasizing the principle of consistency. Additionally, the CIT(A) noted that the dispute was tax-neutral as the same tax rate applied in subsequent years when the income was eventually recognized. The tribunal agreed, citing judicial precedents like CIT v. Excel Industries Ltd. and CIT v. Millennium Estates (P) Ltd., which support the non-litigative approach on tax-neutral issues.

4. Rejection of Books of Accounts by the Assessing Officer:
The CIT(A) observed that the AO did not reject the books of accounts as required under Section 145(3) of the I.T. Act, 1961. The AO's addition was made without finding any defects in the books of accounts, which were audited and maintained regularly. The CIT(A) emphasized that the AO should have first rejected the books before making any additions. The tribunal upheld this view, stating that the AO's failure to reject the books of accounts invalidated the addition of Rs. 2,12,95,900 as unaccounted receipts.

Conclusion:
The tribunal upheld the CIT(A)'s decision to delete the addition of Rs. 2,12,95,900, finding that the AO's reliance on unreliable statements and failure to reject the books of accounts were unjustified. The tribunal emphasized the importance of consistent accounting practices and the principle of tax neutrality, dismissing the Revenue's appeal. The order was pronounced in the open Court on 02/09/2024.

 

 

 

 

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