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2016 (9) TMI 640 - AT - Income Tax


Issues Involved:
1. Trading addition of Rs. 56,201 for AY 2002-03.
2. Trading addition of Rs. 5,52,740 on account of undisclosed income in the form of undisclosed debtors for AY 2002-03.
3. Disallowance of expenses amounting to Rs. 5,000 for AY 2002-03.
4. Addition of undisclosed income in the shape of outstanding debts for AY 1998-99 to AY 2001-02.

Detailed Analysis:

Issue 1: Trading Addition of Rs. 56,201 for AY 2002-03
The Assessing Officer (AO) observed discrepancies in the assessee's books, specifically in the sale of gold and silver ornaments, leading to an addition of Rs. 56,201. The AO rejected the books under Section 145(3) and estimated the sales at Rs. 8 lakhs with a Gross Profit (GP) rate of 20%. The CIT(A) confirmed this addition, citing discrepancies in stock, debtors, sales, and unverifiable purchases from villagers.

The assessee argued that the AO's rejection of books under Section 145 was invalid as the books were properly maintained and vouched. The Tribunal found that the AO did not provide a clear basis for estimating the sales and GP rate, and thus, deleted the trading addition of Rs. 56,201, allowing the assessee's ground.

Issue 2: Trading Addition of Rs. 5,52,740 on Account of Undisclosed Income in the Form of Undisclosed Debtors for AY 2002-03
During a survey, a notebook and loose papers were found showing outstanding balances totaling Rs. 5,52,740. The AO added this amount as undisclosed income, in addition to Rs. 3,06,080 declared by the assessee. The CIT(A) deleted the notional interest but confirmed the addition of Rs. 5,52,740.

The assessee contended that this addition resulted in double taxation, as the surrender of Rs. 3,06,080 included the outstanding debtors. The Tribunal agreed, noting the lack of a clear basis for the AO's addition and the overlap with the surrendered amount. The Tribunal restricted the addition to Rs. 2,46,060 and further allowed it to be set off against the already disclosed unexplained assets of Rs. 36,16,140, effectively deleting the addition.

Issue 3: Disallowance of Expenses Amounting to Rs. 5,000 for AY 2002-03
The AO disallowed Rs. 5,000 out of shop expenses of Rs. 30,630, considering them personal in nature. The CIT(A) reduced this disallowance to Rs. 3,000. The assessee argued that the disallowance was made on an ad hoc basis without specific evidence.

The Tribunal found the disallowance to be arbitrary and deleted the addition of Rs. 2,000 confirmed by the CIT(A).

Issue 4: Addition of Undisclosed Income in the Shape of Outstanding Debts for AY 1998-99 to AY 2001-02
The AO made additions for undisclosed income based on outstanding debtors for the years AY 1998-99 to AY 2001-02, totaling Rs. 9,19,191. The assessee argued that these additions were covered by the surrendered amount of Rs. 36,13,140 in AY 2002-03, which included undisclosed investments from recoveries of outstanding debtors.

The Tribunal noted that the statements and documents from the survey indicated that the undisclosed income from previous years was invested in assets already surrendered and taxed. The Tribunal relied on the Supreme Court's decision in Anantharam Veerasinghaiah & Co. and the Rajasthan High Court's decision in Tyaryamal Bal Chand, which support the concept of telescoping. Consequently, the Tribunal deleted the additions for all the years under consideration, totaling Rs. 9,19,191.

Conclusion:
The Tribunal allowed all the appeals filed by the assessee, deleting the additions made by the AO and confirming that the surrendered amount in AY 2002-03 covered the disputed additions for previous years. The order was pronounced in the open court on 04/08/2016.

 

 

 

 

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