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2024 (2) TMI 1388 - AT - Income TaxDisallowance for the payments to contractors for loading unloading and packaging - main plank of AO s action was that these labour suppliers are either bogus or ex-employees of the assessee that these persons were not found at their respective addresses - CIT(A) deleted addition - HELD THAT - CIT (A) in his order has given a finding that during the remand proceedings 5 out of 6 contractors were produced before the AO and statements of these contractors were recorded by the AO. All of them confirmed that they have provided labour to the assessee company for packing and loading of finished product - As before the ld. CIT (A) assessee produced the sixth contractor whose statement was also recorded. In his statement he confirmed to have supplied labor for packing loading and unloading. Another plank of AO is that the employee of the assessee company used to withdraw cash from the contractor s bank account. CIT (A) has noted that he has perused the banks accounts and the entries of withdrawal were self. Therefore he held that cash withdrawn by the contractors and the contractors during the statement accepted that the employee of the assessee company used to accompany him at the time of withdrawal of cash from the bank and cash used to be carried in company s vehicle and this arrangement was used to ensure for the payment distributed to labourers hired for the work of the company. Another plank of the AO is that these contractors are ex-employees of the assessee company. It has been submitted that this fact has been accepted. For this explanation the assessee submitted that for continuous supply of labour only reliable and known person can be deployed. Another plank of AO is that in the computer of the assessee bills of these contractors were found. It has been submitted that all the contractors have prepared the bills at the premise of the assessee as these contractors were only supplying labour and did not have separate infrastructure. CIT (A) has also found that the salary and wages per kg. production is in the range of 10% to 25% of other industries and there was no adverse findings in this regard in the assessment order. Furthermore books have not been rejected. Decided in favour of assessee.
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