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1995 (9) TMI 328 - HC - VAT and Sales Tax

Issues Involved:
1. Rejection of accounts and determination of taxable turnover.
2. Levy of penalty for willful omission.
3. Sales suppression and corresponding additions.
4. Sales from unregistered places of business.
5. Stock discrepancies and probable omissions.
6. Additional sales tax and penalty.

Issue-wise Detailed Analysis:

1. Rejection of Accounts and Determination of Taxable Turnover:
The assessing officer rejected the accounts of the assessee due to defects and omissions, determining the taxable turnover at Rs. 27,40,507 against the reported Rs. 5,32,651.13. The Appellate Assistant Commissioner modified this to Rs. 15,32,151. The Tribunal further reviewed and adjusted the turnover, leading to various disputes and appeals by both the assessee and the department.

2. Levy of Penalty for Willful Omission:
The assessing officer imposed a penalty of Rs. 62,628 under section 12(3) of the Tamil Nadu General Sales Tax Act for willful omission. The Appellate Assistant Commissioner reduced this to Rs. 3,165. The Tribunal and the High Court reviewed the evidence and circumstances, ultimately sustaining a penalty of Rs. 2,000 without further enhancement.

3. Sales Suppression and Corresponding Additions:
- Inspection on September 29, 1980 (Rs. 5,000): The Tribunal deleted the addition, accepting the assessee's explanation that the bill was received post-inspection and entered subsequently.
- Inspection on May 9, 1980 (Rs. 50,142): The Tribunal accepted part of the assessee's explanation, deleting Rs. 36,178 but sustaining Rs. 2,610, Rs. 9,754, and Rs. 1,600 due to lack of proper explanation.
- Inspection on December 24, 1980 (Rs. 2,68,649): The Tribunal confirmed Rs. 6,000 and Rs. 1,249 as suppressions but adjusted the total addition to Rs. 3,000, which the High Court upheld.

4. Sales from Unregistered Places of Business (Rs. 2,61,400):
The assessing officer treated sales from unregistered godowns as suppressions. The Tribunal initially deleted this addition, considering it a procedural irregularity. However, the High Court restored the addition of Rs. 2,61,400, emphasizing the lack of stock accounts and supporting records, but did not restore the equal addition made by the Appellate Assistant Commissioner.

5. Stock Discrepancies and Probable Omissions (Rs. 4,00,044):
- Inspection on May 9, 1980 (Rs. 26,820): The Tribunal confirmed this addition due to the excessive deficit and lack of explanation from the assessee.
- Inspection on December 24, 1980 (Rs. 1,86,612): The High Court restored the addition of Rs. 1,86,612 as sustained by the Appellate Assistant Commissioner but did not restore the equal addition.

6. Additional Sales Tax and Penalty:
The High Court sustained the additions totaling Rs. 4,48,812 (Rs. 2,61,400 taxable at 10% and Rs. 1,86,612 taxable at 4%). However, it did not increase the penalty for suppression, maintaining it at Rs. 2,000. Consequently, the additional sales tax was to be recalculated based on the sustained additions.

Conclusion:
- T.C.(R) No. 1640 of 1984 was allowed to the extent of restoring certain additions.
- T.C.(R) No. 1643 of 1984 was dismissed.
- T.C.(R) No. 1641 of 1984 was allowed for the recalculation of additional tax in line with the sustained additions.

 

 

 

 

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