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2024 (10) TMI 475 - AT - Income Tax


Issues Involved:

1. Sustaining the addition on account of gross profit by applying a higher GP rate.
2. Sustaining the amount on account of alleged commission payment.
3. Legitimacy of the reopening of assessment under section 147 of the Income Tax Act.
4. Determination of the appropriate gross profit rate to be applied.

Issue-wise Detailed Analysis:

1. Sustaining the Addition on Account of Gross Profit:

The primary issue was whether the addition of Rs. 11,476,762/- on account of gross profit by applying a GP rate of 6% against the 4.91% declared by the assessee was justified. The assessee argued that the GP rate should reflect the industry standard, as highlighted in the Rajasthan High Court judgment in the case of M/s Clarity Gold (P.) Ltd. The assessee's GP rate was compared against industry peers, revealing that the declared GP rate of 4.91% was higher than the industry average. The Tribunal, respecting the jurisdictional High Court's guidance, directed the Assessing Officer (AO) to adopt a GP rate of 5%, resulting in an additional GP of 0.09% over the declared rate, thereby partially allowing the appeal.

2. Sustaining the Amount on Account of Alleged Commission Payment:

The CIT(A) had reduced the addition on account of alleged commission payment from Rs. 31,58,913/- to Rs. 6,88,603/-. The Tribunal upheld this reduction, acknowledging the CIT(A)'s rationale that the GP rate should cover any potential revenue leakage, thereby providing relief to the assessee.

3. Legitimacy of the Reopening of Assessment:

The reopening of the assessment was challenged by the assessee on the grounds of reliance on third-party information without proper verification. The AO had reopened the assessment based on information indicating that the assessee was involved in bogus purchases. The Tribunal found that the AO had sufficient grounds to reopen the assessment, as the information was corroborated by inquiries conducted by the investigation wing, revealing the assessee's involvement in non-genuine transactions. Thus, the reopening was deemed legitimate.

4. Determination of the Appropriate Gross Profit Rate:

The Tribunal considered the comparable industry GP rates provided by the assessee, which ranged between 0.045% and 4.37%. The Tribunal noted that the assessee's declared GP rate of 4.91% was higher than the industry average. In line with the High Court's judgment in the Clarity Gold case, which emphasized using industry standards for GP estimation, the Tribunal directed the AO to apply a GP rate of 5%. This decision was made to ensure fairness and consistency with industry practices, resulting in a minor addition to the declared GP rate.

Conclusion:

The Tribunal's decision reflected a balanced approach, considering both the AO's findings and the assessee's arguments. By aligning the GP rate with industry standards, the Tribunal ensured a fair assessment, partially allowing the appeal and providing relief to the assessee on the grounds of reduced commission and a justified GP rate. The decision underscores the importance of industry comparables in determining profit rates and the necessity for thorough verification in cases of alleged bogus transactions.

 

 

 

 

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