Agency receipts from recharge sales are taxable as commission, not full turnover, preventing book-maintenance penalties.
Agency receipts from recharge vouchers and wafers are taxable as commission income where the recipient acts for principals and does not obtain ownership of the goods. Estimating profit on the full bank credits is inconsistent with the principal-agent arrangement; income should instead be computed using a reasonable commission rate. Such receipts do not, by themselves, constitute the agent's turnover for purposes of a penalty for non-maintenance of books of account. The absence of established turnover in the preceding years further supports deletion of that penalty.
Issues: (i) Whether profit on bank receipts from recharge vouchers and wafers business should be estimated at 30% or on a commission basis; (ii) Whether penalty for non-maintenance of books was sustainable where the receipts represented agency transactions rather than the assessee's turnover.
Issue (i): Whether profit on bank receipts from recharge vouchers and wafers business should be estimated at 30% or on a commission basis.
Analysis: The material established that the assessee dealt in recharge vouchers and wafers as an agent of the respective principals and was contractually entitled to a limited commission. The 30% profit estimate on the entire bank credits was excessive and inconsistent with the principal-agent arrangement.
Conclusion: In favour of the assessee. Income from gross receipts of Rs. 1,58,13,670 was directed to be computed by applying a commission rate of 5%, resulting in commission income of Rs. 7,90,683.
Issue (ii): Whether penalty for non-maintenance of books was sustainable where the receipts represented agency transactions rather than the assessee's turnover.
Analysis: As the bank receipts related to agency business, ownership in the goods did not vest in the assessee and such receipts could not be treated as its turnover. Further, no turnover in the three immediately preceding years was established.
Conclusion: In favour of the assessee. The penalty of Rs. 25,000 for non-maintenance of books of account was directed to be deleted.
Final Conclusion: The taxable receipts were confined to a reasonable commission component, and the penalty founded on treating agency receipts as turnover could not stand.
Ratio Decidendi: Where bank receipts arise from a principal-agent arrangement and ownership in goods remains with the principal, the agent's income is to be assessed on a reasonable commission basis rather than as profit on the entire receipts; such agency receipts do not by themselves constitute the agent's turnover for book-maintenance penalty purposes.