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1995 (6) TMI 65

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....gs in the year under appeal. The Assessing Officer had made certain additions in the income disclosed from contract business. However, the CIT(A), had vide order dt.29th Nov., 1991, accepted the net profit rate disclosed by the assessee. The difference in the returned income and the finally assessed income was on account of disallowance of commission. The Assessing Officer had initiated penalty pr....

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....ub-section. The assessee's case, according to the learned counsel, does not fall within sub-s. (1) of s. 44AA. Its case falls under sub-cl. (2) of s. 44AA. As per the said sub-section, the assessee is under an obligation to keep and maintain such books of accounts and other documents as may enable the Assessing Officer to compute assessee's total income in accordance with the provisions of the Act....

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....able the Assessing Officer to compute the income in accordance with the provisions of law. Therefore, the penalty under s. 271A was not warranted. In this connection, reliance has been placed on the decision of the Nagpur Bench of the Tribunal in the case of ITO vs. Papelal Gaur (1994) 49 TTJ (Nag) 126 and in the case of Harilal Dhanwani vs. ITO (1993) 45 TTJ (Del) 437. 5. The learned counsel f....

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....n to maintain such books of accounts as would enable the Assessing Officer to compute the profits under the provisions of IT Act, 1961. We have perused the assessment order for the year under appeal and the order of the CIT(A) and we find that the information that would facilitate completion of assessment under the provisions of the IT Act, 1961 had been made available by the assessee and no diffi....