Retrospective cancellation of charitable registration under section 12AB(4) was unsustainable; related-party benefit allegations did not prove nongenu...
Merger control notice and disclosure rules: Supreme Court limits penalties, rejects reopening of approved combination, and sets aside adverse findings...
Unverifiable purchases and unreliable account records justified rejection of books and estimation of gross profit by applying the average gross profit rate of the preceding two years, because the assessee failed to produce primary supporting material and enquiries showed most purchase parties were non-genuine. The addition based on estimated profit was sustained for AY 2021-22. Cash deposited in the bank during the demonetisation period was also treated as unexplained money, as the deposit was verified from bank information and the assessee furnished no supporting evidence for its source. The addition under section 69A was confirmed for AY 2017-18.
Unverifiable purchases and unreliable account records justified rejection of books and estimation of gross profit by applying the average gross profit rate of the preceding two years, because the assessee failed to produce primary supporting material and enquiries showed most purchase parties were non-genuine. The addition based on estimated profit was sustained for AY 2021-22. Cash deposited in the bank during the demonetisation period was also treated as unexplained money, as the deposit was verified from bank information and the assessee furnished no supporting evidence for its source. The addition under section 69A was confirmed for AY 2017-18.
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