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Income Tax Appeals Limits Addition u/s 69C to 5% of Purchase Expenses, Citing Historical Profit Records.

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....Addition u/s 69C - CIT(A) confined the addition to only 5% of the amount spent on purchases based on past record of profits - as the provision of Section 69C is not mandatory in nature, the AO has full discretion either to add or not to add the unexplained expenditure in the income of the assessee based upon sound judicial principles - HC....