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Issues involved: Quantum appeals for two different assesses, penalty imposed u/s 271(1)(c) of the Act for the same assessment years.
Judgment Details: 1. Quantum Appeal - Gomti Silk Mills Ltd. (ITA No.2898/Ahd/2006 for A.Y.2003-2004): - Ground Nos. 1 and 2 challenged the addition of specific amounts. - Assessee argued discrepancies in the P&L account and stock details. - Tribunal found that the addition cannot exceed the debited amount in the P&L account. - Tribunal set aside the CIT(A)'s order and remanded the matter to the AO for fresh decision. - Grounds 1 and 2 allowed for statistical purpose. 2. Quantum Appeal - Gomti Fibres Ltd. (ITA No.2899/Ahd/2006): - Grounds challenged additions and interest charges. - Assessee pointed out discrepancies in the consumption of raw material and stock details. - Tribunal observed that the addition was not justified as the material was not consumed in the present year. - Order set aside and matter remanded to the AO for fresh decision. - Appeal allowed for statistical purpose. 3. Penalty Appeals: - Since additions were set aside in quantum appeals, penalties were also deleted. - AO can initiate penalty proceedings again if new additions are made. - Both penalty appeals allowed. In conclusion, both quantum appeals were allowed for statistical purposes, and penalty appeals were also allowed as penalties were deleted due to the set-aside additions.
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