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2025 (1) TMI 1482 - AT - Income TaxUnexplained cash credit - On the date of search assessee stated that his father had the details of the cash found in his possession - assessee himself has disclosed the excess stock found during the course of the survey - HELD THAT - Sales as shown which also include the sales which are treated as unexplained and added as unexplained cash credit by the Ld. AO however the income from the same has not been excluded from the income computed by the assessee nor the purchases corresponding to the sales have been disturbed. In case the purchases are not disturbed but the sales are treated as bogus the same would go to increase the closing stock of the assessee and therefore would cover part of the excess stock disclosed during the survey which adjustment has not been done. The copy of statement recorded at the NSCBI Airport was requested which has not been provided as per the statement made by the assessee. Since the enhancement of income has been carried out without considering the submission of the assessee and apparently the cash sales have been included as part of the total sales and have also been added u/s 68 therefore the treatment given to the transactions by the Ld. AO does not appear to be in consonance with the accounting principles. As the sales were treated as unexplained cash credit they ought to have been reduced from the sales shown in the profit and loss account and the profit and loss account should have been recast to arrive at the total income of the assessee. Hence the order of the Ld. CIT(A) is set aside with the above observations and the Ld. CIT(A) is directed to examine the profit and loss account and provide another opportunity to the assessee to make his submission on the income enhanced which shall be considered before making any enhancement or upholding the addition made by the Ld. AO. The assessee had included the excess stock as part of his income and at the same time has denied the disclosure on account of excess stock made. Appeal filed by the assessee is allowed for statistical purposes.
ISSUES PRESENTED and CONSIDERED
The Tribunal addressed several key issues in this appeal: 1. Whether the delay in filing the appeal by the assessee should be condoned. 2. Whether the addition of Rs.67,00,043/- as unexplained cash credit by the Assessing Officer was justified. 3. Whether the enhancement of income by Rs.7,99,957/- by the Commissioner of Income Tax (Appeals) [CIT(A)] was appropriate. 4. Whether the CIT(A) correctly assessed the alleged discrepancy in stock valuation during the survey. ISSUE-WISE DETAILED ANALYSIS 1. Condonation of Delay The Tribunal considered the application for condonation of delay filed by the assessee. The delay was attributed to the assessee's personal circumstances, including his father's illness and his own health issues. The Tribunal found that there was sufficient cause for the delay, which was neither mala fide nor provided undue benefit to the assessee. Hence, the delay was condoned, and the appeal was admitted for adjudication. 2. Addition of Rs.67,00,043/- as Unexplained Cash Credit The Assessing Officer added Rs.67,00,043/- as unexplained cash credit, presuming that the cash sales on 29.07.2013 were unaccounted. The Tribunal examined the circumstances under which the cash was seized and the explanation provided by the assessee, who claimed that the cash was part of the disclosed income. The Tribunal noted discrepancies in the treatment of sales and stock in the profit and loss account, indicating a potential misappreciation of facts by the Assessing Officer. The Tribunal highlighted that the sales were included in the total sales reported, and the same amount was added as unexplained cash credit, which could distort the accounting treatment. The Tribunal directed a reassessment of the profit and loss account to ensure accurate reflection of the transactions. 3. Enhancement of Income by Rs.7,99,957/- The CIT(A) enhanced the income by Rs.7,99,957/- based on the alleged stock discrepancy. The Tribunal observed that the enhancement was made without adequately considering the assessee's submissions. The Tribunal found that both the sales and closing stock were considered for the addition, leading to potential inaccuracies in the income assessment. The Tribunal instructed the CIT(A) to re-evaluate the enhancement, taking into account the assessee's explanations and providing a fair opportunity for the assessee to present his case. 4. Stock Discrepancy and Survey Findings The Tribunal scrutinized the stock valuation conducted during the survey, which the assessee contested as inaccurate due to non-expert valuation. The Tribunal noted that the assessee had declared an excess stock of Rs.75,00,000/- as part of his income, yet disputed the stock valuation's correctness. The Tribunal emphasized the need for the CIT(A) to reassess the stock discrepancy claims, ensuring that any findings are based on factual evidence and proper reconciliation of stock records. The Tribunal underscored the importance of aligning the survey findings with the actual records maintained by the assessee. SIGNIFICANT HOLDINGS The Tribunal concluded that the appeal should be allowed for statistical purposes, directing the CIT(A) to conduct a de novo examination of the profit and loss account and stock discrepancies. The Tribunal mandated that the CIT(A) provide the assessee with a reasonable opportunity to present his case, ensuring compliance with Rule 46A of the Income Tax Rules. The Tribunal's decision underscores the necessity for a meticulous review of accounting records and factual evidence in tax assessments, particularly when substantial additions or enhancements are made to the assessee's income. The Tribunal's directive for a reassessment reflects a commitment to ensuring fairness and accuracy in the adjudication process.
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