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2015 (10) TMI 2017 - AT - Income Tax


Issues Involved:
1. Rejection of books of account.
2. Estimation of profit.
3. Assessment of income surrendered by the assessee separately.
4. Rejection of claim for deduction of depreciation.
5. Claim for higher rate of depreciation on vehicles.
6. Allowing deduction of remuneration and interest payable to partners.

Issue-wise Detailed Analysis:

1. Rejection of Books of Account:
The Assessing Officer (AO) rejected the books of account maintained by the assessee under section 145(3) of the Income Tax Act, 1961, due to various discrepancies, including defective vouchers, unaccounted receipts, and unverifiable payments. The CIT(A) upheld the rejection, noting that the books were not reliable enough to give a true and correct picture of the business. The Tribunal agreed, stating that the deficiencies and discrepancies in the books of account were significant and that the partner's admission of following the same practices in earlier years justified the rejection.

2. Estimation of Profit:
The AO estimated the net profit from the business operations at varying percentages for different assessment years. The CIT(A) scaled down these percentages, taking into account the nature of the assessee's business and judicial precedents. The Tribunal further modified these percentages, considering the net profit rate declared by the assessee in earlier years and the fact that a significant portion of the gross receipts were reimbursements with a lower profit margin. The Tribunal adopted net profit rates of 2.5%, 3.5%, 4%, and 7% for the assessment years 2004-05 to 2007-08, respectively.

3. Assessment of Income Surrendered by the Assessee Separately:
The CIT(A) directed the AO to assess the additional income surrendered by the assessee separately from the estimated net profit. The Tribunal disagreed, stating that both the additional income and the estimated profit aimed to arrive at the correct amount of profits. Hence, the Tribunal held that the additional income should be telescoped against the net profit estimated, preventing double assessment of the same income.

4. Rejection of Claim for Deduction of Depreciation:
Both the AO and CIT(A) rejected the assessee's claim for depreciation. The Tribunal, however, found merit in the assessee's contention that depreciation is a statutory deduction and should be allowed separately. The Tribunal directed the AO to allow the admissible depreciation against the estimated income.

5. Claim for Higher Rate of Depreciation on Vehicles:
The assessee claimed a higher rate of depreciation on vehicles used for transport purposes. The Tribunal remanded this issue to the AO for factual verification and appropriate decision in accordance with the law.

6. Allowing Deduction of Remuneration and Interest Payable to Partners:
The CIT(A) allowed the deduction for remuneration and interest payable to partners, following judicial precedents that considered such deductions allowable against estimated income. The Tribunal upheld this decision, noting that the AO had assessed the remuneration and interest in the hands of the partners, even though it was not allowed as a deduction in the hands of the assessee firm.

Conclusion:
The Tribunal directed the AO to compute the total income for all the years under consideration based on the Tribunal's decisions on various issues. If the computed income for any year is less than the returned or already assessed income, the total income should be determined at the level of the returned or already assessed income. The appeals filed by the assessee were partly allowed, and the appeals of the revenue were dismissed.

 

 

 

 

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