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2020 (11) TMI 907 - AT - Income Tax


Issues Involved:

1. Undisclosed Receipts from ECIL & BEL
2. Nature of Advance Receipt from OCAC
3. Unexplained Unsecured Loan
4. Undisclosed Receipts from Hindustan Unilever Ltd.

Detailed Analysis:

1. Undisclosed Receipts from ECIL & BEL:
The primary issue revolves around the addition of undisclosed receipts amounting to ?4,23,65,658/- from ECIL and BEL. The Assessing Officer (AO) added this amount as suppressed work receipts, arguing that the assessee followed a cash system of accounting instead of the mercantile system, as mentioned in the auditor's report. The AO believed that the entire bill amount should be recognized as revenue for the year, not just the amounts received per the terms of payment. The CIT(A) partly allowed the appeal, calculating the income of the assessee at ?68,71,709 (16.22% of ?4,23,65,658/-) and allowed relief of ?3,54,93,949/-. The Tribunal upheld the CIT(A)'s decision, agreeing that revenue becomes due only after certification by the supervisors of ECIL and BEL, and thus, only the certified amount can be considered as accrued income. The Tribunal directed the AO to estimate the net profit before salary and interest on capital to partners on the undisclosed turnover/receipts.

2. Nature of Advance Receipt from OCAC:
The AO disallowed ?1,56,245/- received from OCAC, as the assessee could not explain its nature. The CIT(A) found that this amount was an advance for preparation of Electoral Photo Identity Cards and, after deducting the expenditure, the balance was booked as income. The Tribunal confirmed the CIT(A)'s findings, noting that the AO's disallowance was incorrect.

3. Unexplained Unsecured Loan:
The AO added ?38,88,773/- as unexplained unsecured loans from three entities, as the assessee failed to file confirmations and establish the genuineness of the transactions. The CIT(A) deleted the addition, noting that these were actually sundry creditors, not unsecured loans. The Tribunal found that the CIT(A) admitted fresh evidence without confronting the AO, violating Rule 46A of the I.T. Rules. The issue was remitted back to the AO for verification of the contracts/agreements and other relevant documents, directing the AO to pass an appropriate order after due verification.

4. Undisclosed Receipts from Hindustan Unilever Ltd.:
The AO added ?50,562/- as undisclosed receipts from Hindustan Unilever Ltd., which the assessee claimed was salary for staff members. The CIT(A) deleted the addition, finding that the amount represented salary for services rendered. The Tribunal upheld the CIT(A)'s decision, noting no violation of Rule 46A and confirming that the amount was indeed salary for staff.

Conclusion:
The Tribunal partly allowed the appeals for statistical purposes, directing the AO to re-examine certain issues, particularly the estimation of net profit on undisclosed receipts and the verification of alleged unsecured loans. The Tribunal upheld the CIT(A)'s decisions on the nature of advance receipts from OCAC and the undisclosed receipts from Hindustan Unilever Ltd.

 

 

 

 

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