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2015 (10) TMI 389 - AT - Income Tax


Issues Involved:
1. Suppression of sale of liquor at Rohini International Bar.
2. Suppression of lodge receipts for HUF status.
3. Estimation of suppression of sale from Rohini Lodge Permit Room.
4. Addition of income from restaurant.

Detailed Analysis:

1. Suppression of Sale of Liquor at Rohini International Bar:
- Survey and Findings: A survey under Section 133A of the Income-tax Act, 1961, was conducted on 27.02.2008, revealing suppression of liquor sales. Incriminating materials indicated that the price of liquor in the daily stock sheet was less than the menu card price.
- Department's Argument: The Department argued that the assessee indirectly accepted the suppression of sales by explaining that discounts ranging from 50% to 10% were given. The Assessing Officer estimated the suppression at 56.33%, which was later reduced to 30% by the CIT(Appeals).
- Assessee's Argument: The assessee contended that the discounts were necessary due to the competitive nature of the liquor business and that the sales should not be estimated based on the menu card prices alone.
- Tribunal's Decision: The Tribunal acknowledged the possibility of discounts but noted the lack of documentation in the menu card. Given the statement from Shri Raju, the Tribunal estimated the suppression at 26% instead of 56.33% as initially estimated by the Assessing Officer.

2. Suppression of Lodge Receipts for HUF Status:
- Survey and Findings: During the survey, discrepancies were found in the books of account of the assessee-HUF running a lodging business. The Assessing Officer estimated the suppression of lodge receipts at 208.84%, which was reduced to 50% by the CIT(Appeals).
- Assessee's Argument: The assessee argued that 100% occupancy cannot be expected at all times and that the suppression found for January and February 2007 should not be extrapolated for other periods.
- Department's Argument: The Department found that the actual receipts were higher than those recorded in the collection sheet and justified the suppression estimation.
- Tribunal's Decision: The Tribunal agreed with the CIT(Appeals) that 100% occupancy is unrealistic but acknowledged the suppression of receipts. It confirmed the CIT(Appeals)'s decision to restrict the suppression to 50%.

3. Estimation of Suppression of Sale from Rohini Lodge Permit Room:
- Survey and Findings: The Assessing Officer estimated the suppression of sales at 47%, which was reduced to 30% by the CIT(Appeals).
- Tribunal's Decision: Consistent with its earlier decision, the Tribunal estimated the suppression of sales at 26%, considering the discounts given to customers.

4. Addition of Income from Restaurant:
- Survey and Findings: The Assessing Officer added Rs. 1 lakh as income from Rangeetha restaurant, based on sales details found during the survey.
- Assessee's Argument: The assessee claimed that the restaurant was closed three years ago.
- Department's Argument: The Department found sales details for the period April 2007 to January 2008, contradicting the assessee's claim.
- Tribunal's Decision: The Tribunal upheld the addition of Rs. 1 lakh, as the evidence contradicted the assessee's claim of the restaurant being closed.

Conclusion:
The Tribunal's decisions involved reducing the estimated suppression of liquor sales to 26%, confirming the 50% suppression of lodge receipts, and maintaining the addition of Rs. 1 lakh for restaurant income. The appeals and cross-objections were partly allowed, reflecting a balanced consideration of the evidence and arguments presented by both parties.

 

 

 

 

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