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2023 (7) TMI 1087 - AT - Income Tax


Issues Involved:
1. Addition of INR 54,514 as unexplained expenditure under Section 69C of the Income Tax Act, 1961.
2. Rejection of the assessee's books of accounts.
3. Addition of INR 54,10,504 by applying the Gross Profit (GP) ratio on gross receipts.
4. Disallowance of INR 3,60,000 for accounting charges due to non-deduction of tax.

Summary:

Issue 1: Addition of INR 54,514 as unexplained expenditure under Section 69C
The assessee contended that the difference of INR 54,514 arose due to post-negotiation reductions in payments initially reported in Form 15CA. The Tribunal found no evidence supporting this claim and upheld the addition as unexplained expenditure under Section 69C, affirming the lower authorities' findings. Thus, Ground No.1 raised by the assessee was rejected.

Issue 2: Rejection of the assessee's books of accounts
The Tribunal noted that the lower authorities had rejected the books of accounts based on discrepancies and a fall in the GP ratio. However, it was observed that no specific defects in the books were pointed out. The Tribunal emphasized that mere fall in GP ratio is not sufficient for rejecting books without concrete evidence of discrepancies. Therefore, the matter was remanded back to the Assessing Officer (AO) to verify the correctness of the assessee's claim regarding the mismatch of figures in Form 26AS and decide the issue afresh in accordance with the law. Thus, Ground Nos. 2 & 3 raised by the assessee were allowed for statistical purposes.

Issue 3: Addition of INR 54,10,504 by applying the GP ratio
The Tribunal found that the lower authorities had sustained the addition based on a fall in the GP ratio without pointing out any specific discrepancies in the accounts. The Tribunal held that such findings should not be based on pure guesswork and must have a foundation. The AO was directed to verify the correctness of the assessee's claim regarding the mismatch of figures in Form 26AS and decide the issue afresh. Thus, Ground Nos. 2 & 3 raised by the assessee were allowed for statistical purposes.

Issue 4: Disallowance of INR 3,60,000 for accounting charges
The assessee did not press Ground No.4 during the hearing. Consequently, this ground was dismissed as not pressed.

Conclusion:
The appeal was partly allowed for statistical purposes, with the Tribunal remanding the issues related to the rejection of books of accounts and the addition based on the GP ratio back to the AO for fresh consideration. The addition of INR 54,514 as unexplained expenditure under Section 69C was upheld, and the disallowance of INR 3,60,000 for accounting charges was dismissed as not pressed.

 

 

 

 

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