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    <title>Seized Business Records Reveal Tax Discrepancies: Holistic Review Leads to Reduced Profit Margin and Revised Assessment</title>
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    <description>The ITAT adjudicated a tax dispute involving unaccounted receipts and expenses in business transactions. The tribunal held that seized materials must be read holistically, rejecting the Assessing Officer&#039;s selective approach. Applying the principle of not simultaneously taxing income source and application, the tribunal directed adoption of a 13% profit margin instead of 14%. For completed assessments without incriminating materials during search proceedings, the tribunal followed Supreme Court precedent and deleted additions made by the Assessing Officer. Consequently, the assessee&#039;s appeal was allowed, with the jurisdictional officer instructed to recalculate tax liability based on the 13% profit margin and holistic assessment of unaccounted transactions.</description>
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    <pubDate>Sat, 07 Jun 2025 08:32:51 +0530</pubDate>
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      <title>Seized Business Records Reveal Tax Discrepancies: Holistic Review Leads to Reduced Profit Margin and Revised Assessment</title>
      <link>https://www.taxtmi.com/highlights?id=89189</link>
      <description>The ITAT adjudicated a tax dispute involving unaccounted receipts and expenses in business transactions. The tribunal held that seized materials must be read holistically, rejecting the Assessing Officer&#039;s selective approach. Applying the principle of not simultaneously taxing income source and application, the tribunal directed adoption of a 13% profit margin instead of 14%. For completed assessments without incriminating materials during search proceedings, the tribunal followed Supreme Court precedent and deleted additions made by the Assessing Officer. Consequently, the assessee&#039;s appeal was allowed, with the jurisdictional officer instructed to recalculate tax liability based on the 13% profit margin and holistic assessment of unaccounted transactions.</description>
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