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2025 (1) TMI 905 - AT - Income Tax
Additions of gross profit over and above the gross profit declared by the assessee - rejection of the assessee s books of accounts by the AO was justified without pointing out specific defects as per Section 145(3) - HELD THAT - We note that exactly similar issue has been dealt in the matter of Kamal Sharma 2024 (10) TMI 1628 - ITAT DELHI wherein held all relevant details in the form of books of accounts, copy invoices, GR, bilties etc. were filed before the Assessing Officer. AO without detecting any defect in the books of accounts, rejected the same u/s 145(3) of the Act and made addition and fail to understand the reasoning of AO as at one hand he stated sale/purchase claimed to have been made by Company as bogus then he proceeds to make addition on the basis of GP disclosed by the assessee without any justification and explanation. Such order, on merit as well, fails to meet the test of law and deserves to be quashed. Assessee s appeals are allowed
1. ISSUES PRESENTED and CONSIDERED
The legal judgment presented revolves around several core issues:
- Whether the order passed by the CIT(A) was valid in law and fact.
- Whether the proceedings initiated under Section 153C of the Income Tax Act were barred by limitation and thus void.
- Whether the addition made by the AO was based on incriminating material found during a search, as required by law.
- Whether the rejection of the assessee's books of accounts by the AO was justified without pointing out specific defects as per Section 145(3).
- Whether the assessee was denied the opportunity to cross-examine third-party statements used against them.
- Whether the additions made by the AO resulted in double taxation of the assessee's income.
2. ISSUE-WISE DETAILED ANALYSIS
Issue 1: Validity of CIT(A)'s Order
- Legal Framework: The validity of an order by the CIT(A) is generally assessed based on adherence to procedural and substantive legal requirements.
- Court's Interpretation: The Tribunal considered whether the CIT(A) erred in confirming the AO's order without proper legal basis.
- Key Evidence: The Tribunal noted that the CIT(A) confirmed the AO's additions without detecting defects in the assessee's books.
- Application of Law: The Tribunal referenced previous decisions where similar additions were deleted, suggesting a lack of legal basis for the CIT(A)'s confirmation.
- Conclusion: The Tribunal found the CIT(A)'s order to be unsustainable and unjust.
Issue 2: Proceedings Under Section 153C
- Legal Framework: Section 153C deals with assessments in cases where incriminating material is found during a search on a third party.
- Court's Interpretation: The Tribunal evaluated whether the proceedings were initiated correctly under Section 153C.
- Key Evidence: The Tribunal noted that no incriminating material was found directly at the assessee's premises.
- Application of Law: The Tribunal referenced the Supreme Court's decision in PCIT vs. Abhisar Buildwell Pvt. Ltd., emphasizing the necessity of incriminating material for such proceedings.
- Conclusion: The Tribunal concluded that the proceedings were not justified under Section 153C.
Issue 3: Basis of Additions
- Legal Framework: Additions must be based on incriminating material found during a search.
- Court's Interpretation: The Tribunal scrutinized whether the AO's additions were based on such material.
- Key Evidence: The Tribunal found that the additions were made without any incriminating material directly linked to the assessee.
- Application of Law: The Tribunal highlighted the lack of evidence supporting the AO's additions.
- Conclusion: The Tribunal deemed the additions invalid.
Issue 4: Rejection of Books of Accounts
- Legal Framework: Under Section 145(3), books of accounts can be rejected if specific defects are identified.
- Court's Interpretation: The Tribunal assessed whether the AO was justified in rejecting the books without pointing out defects.
- Key Evidence: The Tribunal noted the absence of any specific defects identified by the AO.
- Application of Law: The Tribunal referenced previous cases where similar rejections were overturned.
- Conclusion: The Tribunal found the rejection of books unjustified.
Issue 5: Opportunity to Cross-Examine
- Legal Framework: The right to cross-examine is a fundamental principle of natural justice.
- Court's Interpretation: The Tribunal considered whether the assessee was denied this opportunity.
- Key Evidence: The Tribunal noted that the AO relied on third-party statements without allowing cross-examination.
- Application of Law: The Tribunal cited the Supreme Court's decision in Andaman Timber Industries v. CCE, emphasizing the importance of cross-examination.
- Conclusion: The Tribunal found the denial of cross-examination to be a violation of natural justice.
Issue 6: Double Taxation
- Legal Framework: Double taxation occurs when the same income is taxed more than once.
- Court's Interpretation: The Tribunal evaluated whether the AO's additions led to double taxation.
- Key Evidence: The Tribunal noted that the AO added gross profit already accounted for by the assessee.
- Application of Law: The Tribunal highlighted the unsustainability of such double taxation.
- Conclusion: The Tribunal found the AO's additions resulted in double taxation.
3. SIGNIFICANT HOLDINGS
- Verbatim Quotes: "The AO by adding gross profit again to the income of the assessee has made double taxation which is unsustainable and unjust in the eyes of law."
- Core Principles Established: Additions must be based on incriminating material found during a search; rejection of books requires specific defects; the right to cross-examine is fundamental; double taxation is unjust.
- Final Determinations: The Tribunal set aside the additions made by the AO and confirmed by the CIT(A) for all assessment years in question.