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Issues involved: Valuation of closing stock u/s method change.
Summary: The case involved a dispute regarding the valuation of closing stock due to a method change by the assessee. The Income Tax Officer (ITO) added Rs. 7,30,298 to the total income of the assessee, stating that the change in valuation method could adversely affect profit computation. However, the CIT (Appeals) deleted this addition, emphasizing that the changed method was recognized and followed permanently in subsequent years. The Tribunal upheld the CIT (Appeals) decision, noting that the change was bona fide and scientifically sound, as approved by the Institute of Chartered Accountants. The Tribunal cited the Madras High Court decision supporting the view that the difference in valuation methods should not impact the assessment in the year of change. Additionally, the Delhi High Court decision cited by the department was deemed inapplicable as it did not involve a bona fide method change. Ultimately, the Tribunal confirmed the deletion of the Rs. 7,30,298 addition, allowing the assessee's appeal and dismissing the departmental appeal.
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