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2005 (7) TMI 278 - AT - Income Tax

Issues Involved:
1. Addition of Rs. 7,042 due to deposits classified as compulsory deposit and development deposit.
2. Addition of Rs. 80,000 on account of provision for doubtful debts.
3. Addition of Rs. 74,12,304 due to the difference in the value of closing stock.

Detailed Analysis:

1. Addition of Rs. 7,042 due to deposits classified as compulsory deposit and development deposit:
The Revenue appealed against the deletion of an addition of Rs. 7,042 made by the AO on account of two deposits classified as compulsory deposit and development deposit. The CIT(A) had allowed these deposits, supporting his decision with various precedents. The Revenue contended that the issue was covered by the Supreme Court's decision in Siddheshwar Sahakari Sakhar Karkhana Ltd. vs. CIT. However, the Tribunal noted that the AO had not addressed the true nature and character of these deposits, and the CIT(A) had not delved into this issue either. Given the nominal amount involved, the Tribunal declined to go into the merits of the case and dismissed this ground, relying on the decision of the Bombay High Court in CIT vs. Cameo Colour Co.

2. Addition of Rs. 80,000 on account of provision for doubtful debts:
The Revenue also appealed against the deletion of an addition of Rs. 80,000 made by the AO on account of provision for doubtful debts. However, the Tribunal found that this issue did not arise from the order of the CIT(A) as it had not been contested by the assessee before him. Consequently, this ground was dismissed as unqualified.

3. Addition of Rs. 74,12,304 due to the difference in the value of closing stock:
The primary issue in the appeal was the deletion of an addition of Rs. 74,12,304 made by the AO due to the difference in the value of closing stock. The Tribunal identified two key questions for resolution:
- Whether the method of valuation consistently followed by the assessee merits non-acceptance on the ground that income cannot be properly deduced from such a method.
- Whether the assessee has correctly bifurcated the quantity of its closing stock between levy and non-levy sugar in agreement with the purported underlying reasons.

The Tribunal found that the assessee had consistently followed a method of bifurcating its closing stock between levy and non-levy sugar in accordance with Government policy, which was deemed appropriate. This method did not distort profits and was preferable for reflecting the stock that "belongs" to the assessee. However, regarding the second question, the Tribunal noted that the assessee's explanation for the difference in stock ratios implied a net transfer of levy sugar to non-levy sugar, which was not readily understood as the Government typically loans sugar to mills, not the other way around.

Due to the lack of clarity on whether the reduction in levy sugar was temporary or permanent, the Tribunal remitted the matter to the AO to determine the nature of the reduction. The AO was directed to grant the assessee an opportunity to provide evidence and to adjudicate the matter in accordance with the law.

Conclusion:
- The appeal regarding the addition of Rs. 7,042 was dismissed due to the nominal amount involved.
- The appeal regarding the addition of Rs. 80,000 was dismissed as it did not arise from the CIT(A)'s order.
- The appeal regarding the addition of Rs. 74,12,304 was remitted to the AO for further investigation and determination.

 

 

 

 

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