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2022 (6) TMI 150 - AT - Income Tax


Issues Involved:
1. Confirmation of additions towards Short Term Capital Gains (STCG) and business profit.
2. Allowability of deduction for loan liability paid to Cosmos Cooperative Bank.
3. Working out of short-term capital loss on sale of plant and machinery.
4. Rejection of book results and estimation of net profit.

Detailed Analysis:

Issue 1: Confirmation of Additions towards STCG and Business Profit
The assessee contested the confirmation of additions by the CIT(A) towards STCG of Rs. 3,23,99,007/- and business profit of Rs. 5,55,186/-. The Tribunal noted that these grounds were general in nature and did not require specific adjudication.

Issue 2: Allowability of Deduction for Loan Liability Paid to Cosmos Cooperative Bank
The primary contention was whether the deduction of Rs. 3,80,00,000/- paid to Cosmos Bank should be allowed against the sale consideration of Rs. 3,99,06,000/- received on the sale of factory premises, plant, and machinery. The assessee argued that this amount was a charge by overriding title and should not be included in the sale consideration. The Tribunal, however, held that this charge was created by the assessee itself by mortgaging the property, and thus, it represented an application of income, not diversion by overriding title. The Tribunal relied on the Supreme Court judgment in CIT vs. Attili N. Rao and other relevant case laws to conclude that the assessee was not entitled to claim this deduction from the sale consideration. Consequently, the Tribunal upheld the CIT(A)'s decision to disallow the deduction.

Issue 3: Working Out of Short-Term Capital Loss on Sale of Plant and Machinery
The assessee submitted that it would not press this ground. Accordingly, the Tribunal dismissed this ground as not pressed.

Issue 4: Rejection of Book Results and Estimation of Net Profit
The assessee challenged the rejection of declared book loss and the estimation of net profit at 2.5% of turnover. The Tribunal noted that the assessee did not produce books of accounts before the Revenue Authorities at any stage. Given this non-production of books, the Tribunal found the CIT(A)'s decision to estimate the net profit at 2.5% of the turnover to be reasonable. The Tribunal cited relevant case laws, including Swayambhu Furniture and Zora Singh v. CIT, to support the decision of estimating profits in the absence of books of accounts. Therefore, the Tribunal upheld the CIT(A)'s estimation of net profit at 2.5%.

Conclusion:
The Tribunal dismissed the appeal filed by the assessee, upholding the CIT(A)'s order in confirming the additions towards STCG and business profit, disallowing the deduction for the loan liability paid to Cosmos Bank, and estimating the net profit at 2.5% of the turnover. The assessee's appeal was dismissed in its entirety.

Order Pronouncement:
The order was pronounced in the open court on 30-05-2022.

 

 

 

 

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