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2012 (9) TMI 548 - AT - Income TaxAddition made on account of higher Gross Profit rate The G.P. rate is on higher side as compare to earlier years in the assessee s own case - GP rate also more than the comparable case quoted by AO for the same assessment year - Held that - In AY 2005-06, in assessee s own case, the GP rate of 2.37% was accepted by the Revenue. AO himself considered u/s 143(3) the GP rate of 2.65% in AY 2006-07 to be reasonable. Therefore, ITAT did not find any justification for applicability of GP rate of 4.90% by AO. The gross profit rate disclosed by the assessee at 3.63% is better as compared to earlier two years of assessee s case and also better than the comparable case of Sat Paul & Sons quoted by the Assessing Officer for AY 2007-08. Appeal allowed in favor of assessee.
Issues:
1. Discrepancy in Gross Profit (GP) rate applied by Assessing Officer (AO) and CIT(A). 2. Rejection of books of account under section 145(3). 3. Comparison of GP rates with comparable cases. 4. Justification for the applicability of a higher GP rate. Discrepancy in Gross Profit (GP) rate: The case involved an appeal by the Revenue against the CIT(A)'s direction to calculate profit using a GP rate of 4% instead of the 4.9% applied by the AO. The AO rejected the assessee's books of account and applied a GP rate of 4.90% based on four comparable cases. However, the CIT(A) reduced the GP rate to 4% while upholding the rejection of books. The assessee argued that the rejection of books was unjustified as all necessary details were maintained and produced before the AO. The assessee contended that its GP rate of 3.63% was better than the earlier years and the comparable case provided by the AO, thus challenging the higher GP rate applicability. Rejection of books of account under section 145(3): The AO rejected the assessee's books of account, leading to the dispute. The CIT(A) upheld the rejection but reduced the GP rate to 4%. The assessee argued against the rejection, stating that all necessary details were maintained and presented to the AO. The contention was that even if the books were to be rejected, a reasonable GP rate should be applied. Ultimately, the Tribunal found no justification for the higher GP rate application and deleted the trading addition based on the GP rate of 4%. Comparison of GP rates with comparable cases: The Tribunal analyzed the GP rates of comparable cases provided by the AO for different assessment years. The GP rates ranged from 3.53% to 6.00% for various assessees. The Tribunal compared these rates with the GP rate of the assessee, which was 3.63%. It was noted that the GP rate of the assessee was better than the comparable case for the relevant assessment year. The Tribunal also considered the GP rates accepted by the Revenue in the assessee's earlier years, finding them to be lower than the 4.90% applied by the AO. This comparison supported the assessee's argument against the higher GP rate. Justification for the applicability of a higher GP rate: The AO applied a GP rate of 4.90% based on comparable cases, leading to a discrepancy with the GP rate of the assessee. The Tribunal reviewed the GP rates of the assessee's earlier years and the comparable cases to assess the reasonableness of the higher GP rate. Considering the GP rates accepted by the Revenue in the past and the comparative analysis, the Tribunal concluded that there was no justification for sustaining the trading addition based on the 4% GP rate. As a result, the appeal of the assessee was allowed, while the appeal of the Revenue was dismissed. This detailed analysis of the judgment highlights the key issues, arguments presented by both parties, and the Tribunal's reasoning in resolving the disputes related to the GP rate application and the rejection of books of account.
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