2025 (5) TMI 354
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....ed 'the Act'). The relevant Assessment Year is 2018-19. 2. The grounds raised read as follows:- 1.1 The order of the CIT (A) is bad in law and is liable to be set aside in so far as it Confirms the addition to the extent of Rs.9,87,686/-, 8% of the turnover. 1.2 The CIT(A) erred by only partially allowing the appeal, reducing the gross profit rate by merely half percent from 8.5% to 8.0%; while dismissing the other grounds without adequately considering the Appellant's submissions in their proper context. 2. The CIT(A) Ought to have seen that the AO did not consider the submissions of the Appellant, and that the assessment order was a nonspeaking order, except for addressing the discrepancy in purchases rel....
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....and withdrawn cash of Rs.172.67lakhs from his current account and deposited cash of Rs.12.12 lakhs in his accounts other than current accounts. In response to the notice issued u/s.148A(b) of the Act, the assessee filed his response on 22.03.2022. The assessee stated that cash deposits and withdrawals are out of his business and he has already filed his return of income on 03.10.2019 (manually). Therefore, it was submitted that notice u/s.148 of the Act need not be issued. The AO however rejected the explanation of the assessee and held that assessee had not filed his return of income for the relevant assessment year and therefore, the aforesaid amount was considered as escaped income. The AO proceeded to pass an order u/s.148A(d) of the Ac....
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....ejecting the explanation of the assessee, the AO passed the assessment order u/s.147 r.w.s. 144 r.w.s.144B of the Act on 10.03.2023. In the said assessment order, the AO made an addition of Rs.17,12,715/- being the difference of GP estimation. 4. Aggrieved by the assessment order, the assessee preferred an appeal before the First Appellate Authority. Before the First Appellate Authority, the assessee raised contentions with regard to the reopening of assessment as invalid and also on merits. The CIT(A) partly-allowed the appeal of the assessee by reducing the GP rate to 8% instead of 8.5% made by the AO. The relevant finding the CIT(A) reads as under:- "5.3.3 I have carefully perused the assessment order and submission of the ap....
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....However, the appellant has claimed that the gross profit of the appellant is 6.21% for the year under consideration. Here it is important to note that the appellant has failed to substantiate the correctness and completeness of the accounts maintained by him before the AO as well as during appeal proceedings. Since the action of the AO of rejection of books of account of the appellant for the year under consideration has been held as correct in above para, therefore, the estimation of gross profit by the AO is also held as correct. 5.3.5 The question that remains now is that what should be the estimated profit in the present case. The relevant extract of section 44AD of the Act is reproduced hereunder: ". ... (1) Notwithst....
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....of the above, the grounds of appeal raised are partly-allowed. 5. Aggrieved by the order of the CIT(A), the assessee has filed the present appeal before the Tribunal. The assessee has filed three sets of paper-book. In the first set of paper-book comprising of 90 pages, the assessee had enclosed submissions made before the AO & CIT(A), notices issued during the course of proceedings before the AO, the manual filing of the audit report, return of income, the death certificate of the assessee's auditor, etc. In the second set of paperbook, the assessee had enclosed the case laws relied on and in the third set, the assessee had enclosed the turnover for the past five years, the GP ratio and the net profit rate. 5.1 The Ld.AR submitted ev....
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....ears 2014-15 to the relevant assessment year namely 2018-19 are detailed below:- # A.Yr Turnover Gross Profit (GP) GP Ratio Net profit (NP) NP Ratio 1. 2018-19 Rs.14,50,06,020/- Rs.1,06,12,796/- 7.32% Rs.12,46,332/- 0.86% 2. 2017-18 Rs.15,72,47,857/- Rs.92,50,867/- 5.88% Rs.1,46,502/- 0.26% 3. 2016-17 Rs.15,46,58,754/- Rs.79,53,297/- 5.14% Rs.8.08,447/- 0.52% 4. 2015-16 Rs.15,64,03,004/- Rs.77,65,340/- 4.96% Rs.9,80,796/- 0.63% 5 2014-15 Rs.15,03,49,798/- Rs.78,36,130/- 5.21% Rs.11,03,131/- 0.73% Average 5.48% 0.6% 7.2 The Jodhpur Bench of the Tribunal in the case o....
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