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2021 (10) TMI 1465 - AT - Income Tax


The core legal questions considered in this appeal pertain to the validity and sustainability of additions made by the Assessing Officer (AO) and upheld by the Commissioner of Income Tax (Appeal) relating to excess stock, excess cash found during survey proceedings under section 133A of the Income Tax Act, 1961, and an addition on account of low gross profit margin by comparing pre-survey and post-survey milling expenses. The issues are:

1. Whether additions of Rs. 2,01,350 on account of excess stock found during survey under section 133A are sustainable when the books of account were not rejected and the additions were based solely on statements recorded on oath without corroborative evidence.

2. Whether additions of Rs. 1,80,000 on account of excess cash found during survey under section 133A are sustainable under similar circumstances as above.

3. Whether the addition of Rs. 50,000 on account of low gross profit margin, based on a comparison of post-survey milling expenses to pre-survey milling expenses, is justified when the books of account have not been rejected and no defects were pointed out in the accounts.

Regarding the first two issues concerning excess stock and excess cash found during the survey, the legal framework centers around the provisions of section 133A of the Income Tax Act, which empowers the tax authorities to conduct surveys and record statements. However, the evidentiary value of such statements and the necessity of corroboration are critical. Precedents relied upon include the jurisdictional High Court rulings in Vijay Kumar Kesar (2010) and P. Balasubramanian (2013), which emphasize that statements recorded during surveys are not conclusive evidence by themselves. The Supreme Court decision in CIT Vs. S. Khader Khan Son (2012) also clarifies that admissions or statements are important but not conclusive and can be retracted or explained by the assessee.

The Court noted that the AO did not reject the books of account and that the assessee had reconciled the statements recorded during the survey with the books of account, offering the reconciled figures in the return of income. The authorities below, however, disregarded the reconciled explanation and sustained the additions solely on the basis of the statements recorded during the survey. The Court found this approach unsustainable in law, as the statements alone cannot override the books of account, particularly when no defects were pointed out in the accounts. The Court also referred to the Delhi High Court ruling in CIT Vs. Dhingra Metal Works (2010), which held that material collected during survey is not conclusive evidence.

Applying these principles to the facts, the Court concluded that the additions on account of excess stock and excess cash were not justified. The assessee was entitled to have the reconciled figures accepted, and the additions based solely on survey statements were deleted.

On the third issue regarding the addition on account of low gross profit margin by comparing post-survey milling expenses to pre-survey milling expenses, the legal principle is that the AO must examine the profit for the entire financial year rather than dividing the year into pre- and post-survey periods. The Tribunal's earlier decision in Atul Enterprises (2016) was cited, where it was held that in the absence of any defect pointed out in the books of account, the AO cannot disturb the profit percentage by arbitrarily comparing pre- and post-survey periods.

The Court observed that the facts of the present case were identical to those in Atul Enterprises. Since the books of account were not rejected and no discrepancies were pointed out, the comparison of milling expenses across different periods was not a valid basis for addition. Consequently, the addition of Rs. 50,000 on account of low gross profit margin was deleted.

The significant holdings of the Court include the following:

"An admission is an extremely important piece of evidence but it cannot be said that it is conclusive and it is open to the person who made the admission to show that it is incorrect and that the Assessee should be given a proper opportunity to show that the books of account do not correctly disclose the correct state of affairs."

This principle underscores the necessity of considering the books of account and reconciliations rather than relying solely on statements recorded during survey proceedings.

Further, the Court established that additions based solely on survey statements without corroboration or rejection of books of account are not sustainable. The Court also reaffirmed that the AO must consider the profit and expenses for the entire financial year rather than dissecting the year into pre- and post-survey periods to justify additions.

In conclusion, the Court allowed the appeal on all grounds, deleting the additions on account of excess stock, excess cash, and low gross profit margin, thereby affirming the principle that survey statements alone cannot override properly maintained and unrejected books of account and that the entire financial year's profit should be examined for such assessments.

 

 

 

 

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