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2018 (2) TMI 1211 - AT - Income TaxDisallowance of commission expenses - Held that - A customer intending to purchase a vehicle would visit an auto dealer directly and on the basis of discussions including demonstration as well as other relevant factors viz. past experience reputation of the manufacturer etc. take a decision also co-opting the information gathered from other such dealers of the same or different manufacturers i.e. as per his needs and budget. Why then would a person contact another as Mohini Sharma or others (to whom commission has been paid) who would in turn only refer him an auto dealer. No personalized; rather cognizable service is involved for a customer to approach a third person for a reference. There is no value addition for the customer and in fact even from the standpoint of the dealer so as to incur any cost for the same. In fact the market being fiercely competitive as admitted by the assessee itself in the context of another issue it is incomprehensible that commission is paid merely for reference i.e. even if did not result in any sale. The assessee s claim is completely unsubstantiated and unproved. The disallowance is accordingly confirmed. - Decided against assessee Estimation of the assessee s income from its two workshops - addition to its dealership (trading) business in respect of which the assessee is not maintaining any separate books of account - Held that - We are on balance satisfied with the explanations (including the corroborative material) furnished by the assessee (through the ld. AR) in respect of the queries raised qua the accounting of the job work segment of the assessee s business. We are however unable to appreciate as to how the sale of used oil is as claimed credited to the sale of spare parts inasmuch as there is no purchase thereof (used oil). However where credited to a sale account the same irrespective of the account head gets credited to the profit 28, 444/-. Revenue has not doubted the sale volume thereof making an informed estimate of the sale that ought to have materialized. Under the circumstances therefore subject to the said amount being credited to the profit and loss account for the year no interference with the profit (of the workshop business) as disclosed per the assessee s accounts is called for - Decided in favour of assessee
Issues:
1. Disallowance of commission expenses 2. Estimation of income from workshop business Issue 1: Disallowance of Commission Expenses: The appeal concerns the disallowance of commission expenses claimed by the assessee for referring customers. The Assessing Officer found the commission to be in the form of referral commission, not conditional on sale fructifying. Despite the assessee's explanations, the tribunal found the claim unsubstantiated. The tribunal highlighted that customers usually make informed decisions when purchasing vehicles and would directly visit dealers. The tribunal emphasized that no value addition or personalized service was provided by the commission recipients. Consequently, the disallowance of the commission expenses was upheld. Issue 2: Estimation of Income from Workshop Business: The second issue revolved around estimating the assessee's income from its workshop business due to incomplete and unreliable accounts. The Assessing Officer estimated income at 8% of expenditure, resulting in an addition of ?15 lakhs. The Commissioner of Income Tax (Appeals) partially allowed the appeal, reducing the addition to ?5 lakhs. During the tribunal proceedings, discrepancies in the workshop business accounts were highlighted. The tribunal questioned the reliability of the accounts and the adequacy of explanations provided. Ultimately, the tribunal found the explanations satisfactory and accepted the revised profit calculation presented by the assessee, leading to the partial allowance of the appeal. In conclusion, the tribunal partially allowed the assessee's appeal concerning both issues, confirming the disallowance of commission expenses and accepting the revised profit calculation for the workshop business.
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