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2009 (11) TMI 1039 - AT - Income Tax

The core legal questions considered in this appeal revolve around the treatment of certain purchases amounting to Rs. 7,30,552/- made by the assessee in the context of a long-term contract for construction. Specifically, the issues are:
  • Whether the purchases made during the year but not reflected in the bills of contract or accounted as work-in-progress or closing stock can be treated as undisclosed income and added to the assessable income.
  • Whether the fixed contract price method adopted by the assessee for taxation purposes justifies exclusion of such purchases from the contract receipts for the year.
  • The correctness of the addition made by the Assessing Officer (AO) and confirmed by the Commissioner of Income Tax (Appeals) [CIT(A)] on the ground of non-accounting of these purchases.
  • The procedural propriety and sufficiency of the explanation and evidence provided by the assessee regarding the accounting treatment of these purchases.

Issue-wise Detailed Analysis:

1. Treatment of Purchases Not Reflected in Bills of Contract or Work-in-Progress

The legal framework applicable here involves the principles governing income computation under the Income Tax Act, particularly in relation to contract receipts and expenses. The AO reopened the assessment under section 143(3) on the basis that purchases of materials such as glazed tiles and white cement amounting to Rs. 7,30,552/- were not accounted for as contract receipts, work-in-progress, or closing stock. The AO treated these as undisclosed income, relying on the premise that since these purchases were not reflected in the billed contract work, they represented income not disclosed by the assessee.

The assessee's defense was that the contract was a fixed-price contract for construction of flats at Rs. 180 per square foot over a total area of 1,22,924 square feet, with a total contract value of Rs. 2,21,26,320/-. The assessee contended that the contract amount was fixed and billed on the basis of constructed area, and therefore, purchases in any particular year need not be separately reflected in bills or accounted as work-in-progress. The materials purchased in the disputed year were either included in the work executed in that year or in subsequent years, and the contractee did not require item-wise billing.

The Court noted that the AO's addition was premised on the absence of these purchases in the bills and the failure to show them as closing stock or work-in-progress. However, there was no allegation that these purchases were unverifiable or represented undisclosed investments. The Court emphasized the necessity for the assessee to demonstrate whether these purchases were recorded in the books of accounts and, if so, whether they were treated appropriately as work-in-progress or closing stock while completing the accounts.

2. Applicability of Fixed Contract Price Method and Its Impact on Income Computation

The Court considered the accounting and taxation principles applicable to fixed-price contracts. The assessee's position was that since the contract price was fixed at Rs. 180 per square foot, the income should be computed on the basis of running bills raised and payments received, rather than on the basis of purchases made in any particular year. This approach aligns with the method of recognizing contract receipts based on work certified or billed, rather than on material consumption or purchase.

The Court acknowledged that the assessee had raised bills aggregating Rs. 35 lakhs in the relevant year and had received payment accordingly. The entire contract amount was being recognized over the years as per the bills raised. The Court observed that the AO's approach of adding purchases not reflected in bills as income was inconsistent with the fixed-price contract accounting method adopted by the assessee.

Moreover, the Court noted that the net profit rate computed by the AO (26.39%) was significantly higher than the net profit shown by the assessee (5.52%) and the rate assessed in earlier years (6.23%), as well as the presumptive profit rate under section 44AD (8%). This disparity suggested that the AO's addition may have distorted the true income position.

3. Adequacy of Explanation and Evidence Provided by the Assessee

The CIT(A) had confirmed the AO's addition, stating that the assessee had been given multiple opportunities to explain but failed to do so satisfactorily. However, the Court found the CIT(A)'s order cryptic and lacking detailed reasoning, which did not assist in proper adjudication.

The Court directed that the assessee should be given an opportunity to show whether the disputed purchases were recorded in the books of accounts and whether they were treated as work-in-progress or closing stock. The Court emphasized that if the assessee could demonstrate proper accounting of these purchases, no addition would be warranted. This approach recognizes the principle of fair opportunity and the need for evidence-based findings.

4. Procedural and Substantive Fairness in Reassessment

The reopening of the assessment under section 143(3) was challenged implicitly through the appeal. The Court did not find any procedural infirmity in reopening but stressed that the AO's findings must be supported by proper verification and accounting records. The absence of allegations of unverifiability or undisclosed investment in the purchases indicated that the issue was primarily one of accounting treatment rather than concealment of income.

The Court's decision to remit the matter back to the AO for fresh consideration on the basis of proper accounting records and explanations ensured adherence to principles of natural justice and fair adjudication.

Significant Holdings:

The Court held that mere non-inclusion of purchases in the bills of contract or work-in-progress does not ipso facto justify treating such purchases as undisclosed income, especially in the context of a fixed-price contract where billing is based on constructed area rather than item-wise material consumption.

It was emphasized that:

"If the purchases of Rs. 7,30,552/- are accounted for in the books of accounts and are taken as work in progress while completing the accounts, then no addition is called for."

This principle underscores the importance of proper accounting treatment and verification rather than presumptive additions based on technical non-inclusion in bills.

The Court concluded that the AO must examine the books of accounts to verify the recording and treatment of the disputed purchases and decide accordingly. The appeal was allowed for statistical purposes, and the matter was remanded for fresh adjudication.

 

 

 

 

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