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[Cites 4, Cited by 3]

Income Tax Appellate Tribunal - Mumbai

Acit Cir 29(2), Mumbai vs Nareshkumar Singhania, Mumbai on 6 March, 2017

IN THE INCOME TAX APPELLATE TRIBUNAL "B" BENCH, MUMBAI
      BEFORE SRI MAHAVIR SINGH, JM AND SRI ASHWANI TANEJA, AM

                            ITA No.763/Mum/2015
                                (A.Y:2010-11)
 Naresh Kumar Singhania               Asst. Commissioner of Income Tax,
 136 Shivkripa Indl Estate LBS        C-10 2 n d Floor, Pratiyakshkar
                                  Vs.
 Marg Vikhroli (W)                    Bhavna, BKC Bandra(E)
 Mumbai-400 083                       Mumbai-400050
             Appellant             ..             Respondent
                         PAN No. AAIPS1233M

                            ITA No.1274/Mum/2015
                                A.Y: 2010-11

 Asst. Commissioner of Income Tax,               Naresh Kumar Singhania
 C-10 2 n d Floor, Pratiyakshkar                 136 Shivkripa Indl Estate LBS
                                          Vs.
 Bhavna, BKC Bandra(E)                           Marg Vikhroli (W)
 Mumbai-400050                                   Mumbai-400 083
              Appellant                    ..               Respondent
              Assessee by                  ..    Keyvri Desai, AR
              Revenue by                   ..    Shri Suman Kumar, DR
 Date of hearing                           ..    06-03-2017
 Date of pronouncement                     ..    06-03-2017

                                     ORDER
 PER MAHAVIR SINGH, JM:

These two cross appeals, one by the assessee and one by the Revenue, are arising out of the order of CIT(A)-40, Mumbai, in appeal No. CIT(A)-40/ACIT 23(1)/13/2013-14 dated 30-12-2014. The Assessment was framed by ACIT Circle-23(1), Mumbai for the A.Y. 2010-11 vide order dated 04-03-2013 under section 143(3) of the Income Tax Act, 1961 (hereinafter 'the Act').

2. The only common issue in these cross appeals is as regards to the order of CIT(A) estimating profit at the rate of 15% of the bogus purchases. For this Revenue has raised following three Grounds: -

"1 . On the facts and in the circumstances of the case, the Ld. CIT(A) erred in deleting the addition of Rs. 59,35,832/- made u/s. 69C of the Income Tax Act, 1961.
2. On the facts and in the circumstances of the case, the Ld. CIT(A) erred in not appreciating the fact that the ITA No.763 & 1274/Mum/2015 Naresh Kumar Singhania; AY.10-11 assessee failed to avail opportunity to produce the parties for disproving the statement given by them to Sales Tax Authority.
3. On the facts and in the circumstances of the case, the Ld. CIT(A) erred in restricting the addition made by the Assessing Officer overlooking the explicit finding of the investigation carried out by the Sales Tax Department and corroborated by the enquiries of the Assessing Officer."

Assessee has raised following two grounds: -

"1.1 the ld. CIT(A) erred in confirming the addition of Rs. 8,90,375/- by estimating a profit of Rs.15% on the alleged bogus purchases.
1.2. While doing so the ld. CIT(A) failed to appreciate that the provision of section 69C had no applicability on the additions made by the ACIT and no addition could be made based on conjecture or surmise."

3. Briefly stated facts are that the assessee is a proprietor of M/s Pharmachine Mfg. Co. engaged in the business of manufacturing of trading and export of tablet tooling machines, dies and other pharmaceutical spares. During the course of assessment proceedings, the AO received information from the investigating authorities of Sales Tax Department, Maharashtra Govt. that few of the parties have issued accommodation bills to the assessee. The AO narrated the following are the parties: -

      Sr No.   Name of the party                    TIN             Amount
       1.       Supreme Enterprises             27630362139V           40,434
       2.       Payal Enterprises               27870658730V         1,54,180
       3.       Bhumi Enterprises               27860587392V         1,39,880
       4.       Everfame Trading Co. Pvt.       27860331700V         2,73,038
                Ltd
       5.       Kamal Traders                   27740383370V        26,41,912
       6.       Bharat Enterprises              27690661157V         5,18,422
       7.       Sthapna Trade Impex Pvt. Ltd    27610598830V         1,62,675

                                                                             Page 2 of 7
                                                   ITA No.763 & 1274/Mum/2015
                                                Naresh Kumar Singhania; AY.10-11


      Sr No.   Name of the party                   TIN          Amount
       8.      Montreal Trading Company        27610331692V      5,58,225
       9.       Divya Enterprises              27410371378V     10,27,936
       10.      Superfine Trading Co. Pvt.     27200326631V      6,87,066
                Ltd.
       11.      Topcare Trading Co. Pvt Ltd.   27090331687V        8,83,638
       12.      Parshva & Co                   27710615362V        8,49,337
       13.      Samarth Enterprises            27560694451V         28,350
       14.      Darshan Sales Cor oration      27920382883V       6,40,791
       15.      Deep Enterprises               27750595164V       7,37,212
       16.      Pravesh Enterprises            27660153427V       3,16,784
       17.      Bhavani Tade Link              27520680505V       5,49,896
       18.      Somnath International          27470616755V         14,550
       19.      Savita International           27460654736V       5,32,480
       20.      Heta Sales Private Limited     27460651923V       5,74,537
       21.      Divya Enterprises              27410371378V       7,86,973
       22.      Kamal Traders                  27740383370V      18,56,166
       23.      Meridian Trading Co.           27580726450V      10,51,717
       24.      Nidhi Sales Corporation        27690740697V       1,24,214
       25.      Tisha Enterprises              27950739002V         60,390
       26.      Darshan Sales Corporation      27920382883V       4,42,548
       27.      Kamal Traders                  27740383370V      28,26,018
       28.      Matoshree Traders              27550733305V       1,51,966
       29.      Rohit Enterprises              27020680974V         81,559
       30.      Savita International           27460654736V       6,72,591
       31.      Divya Enterprise               27410371378V      18,86,752
       32.      Sunrise Enterprises            27370565400V       1,18,618
       33.      Deep Enterprises               27750595164V       1,94,062
       34.      Samarth Enterprises            27560694451V         81,559
                             Total                             2,16,66,526



4. The assessee before AO contended that the 17 parties listed in his letter has no dealing with the assessee. The following are the 17 parties: -

               Sr No. Name of the party                      TIN
                1.     Supreme Enterprises              27630362139V
                2.     Payal Enterprises                27870658730V
                3.     Bhumi Enterprises                27860587392V
                4.     Everfame Trading Co. P. Ltd      27860331700V
                5.     Bharat Enterprises               27690661157V
                6.     Sthapna Trade Impex P Ltd        27610598830V
                7.     Montreal Trading Company         27610331692V

8. Superfine Trading Co. Pvt. Ltd 27200326631V

9. Topcare Trading Co. Pvt. Ltd. 27090331687V

10. Parshva & Co. 27710615362V

11. Samarth Enterprises 27560694451V

12. Meridian Tradin1 Co. 27580726450V Page 3 of 7 ITA No.763 & 1274/Mum/2015 Naresh Kumar Singhania; AY.10-11 Sr No. Name of the party TIN

13. Nidhi Sales Corporation 27690740697V

14. Tisha Enterprises 27950739002V

15. Matoshree Traders 27550733305V

16. Rohit Enterprises 27020680974V

17. Sunrise Enterprises 27370565400V

5. However, the AO noted that the assessee has obtained bogus purchase bills from the 34 parties listed above totaling to Rs. 2,16,66,526/-. The assessee agreed that he had made purchase from 17 parties, which itself suggest that the assessee has dealt with these parties. Therefore, the AO disallowed the entire bogus purchase of Rs. 2,16,66,526/- and added back to the return income of the assessee under section 69C of the Act. Aggrieved, assessee preferred the appeal before CIT(A).

6. Before CIT(A), the assessee filed the details of total purchase and stated that the total purchases are to the tune of Rs. 148.72 lakhs out of which purchase to the tune of Rs. 59.35 lakhs were included in the above list. It was argued that out of the list of 34 parties' certain names are repeated and the AO has not done any independent investigation of facts. In nutshell, the assessee claimed that since the purchase shown the bogus from the parties included in the list was only Rs. 59,35,833/-, the entire addition of Rs.2,16,66,526/- cannot be made at all. The CIT(A) referred the matter back to the file of the AO for seeking remand report and AO in his remand report dated 16-09-2013 clarified that the list of 34 parties related to three years i.e. assessment year 2009-10, 10-11 and 2011-12. Regarding the year under consideration i.e. assessment year 2010-11. The following were the ten parties: -

Page 4 of 7
ITA No.763 & 1274/Mum/2015 Naresh Kumar Singhania; AY.10-11

7. The assessee in rejoinder of the remand report filed details of purchase and also books of accounts of assessee from these parties which are as under: -

8. Finally, the CIT(A) noted that the assessee has not been able to establish fully that the purchase establishment amounting to Rs. 59.35 lakhs have been made from these above stated parties are genuine, whereas the AO has also not brought sufficient evidence on record to establish that the purchase to the tune of this amount is totally bogus. It was also noted by CIT(A) that even the sales are not doubted. Accordingly, CIT(A) treated only bogus purchase to the tune of Rs. 59.35 lakhs and estimated the profit rate at 15% of the alleged bogus purchases by observing in Para 5.7 of his order as under: -

5.7 The facts in the present case show that the appellant was not in a position to prove the existence of the suppliers. The suppliers were found to be engaged in providing bogus bills without actual delivery of goods.

On careful analysis of the decisions of Hon'ble High Court of Gujarat and ITAT in the above mentioned cases. I am of the view that without purchase of material it may not be possible to complete the business cycle of the assessee. Since the Assessing Officer has not disputed or examine the sales, which are accepted as shown in the books, corresponding purchases have to be considered and cannot be disregarded in totality. The purchases themselves have not been established to be bogus but the Page 5 of 7 ITA No.763 & 1274/Mum/2015 Naresh Kumar Singhania; AY.10-11 purchase parties shown in the books are. Therefore, the entire purchases from stated ten parties cannot be treated as bogus and what needs to be taxed is the profit element embedded in such transactions. Estimations ranging from 12.5% to 25% have been upheld by the Hon'ble Gujarat High Court, depending on the nature of business. As held in the case of Simit P. $heth (supra), no uniform yardstick can be applied to estimate the rate of profit and it varies with the nature of business. Taking all facts into consideration, I am of the view that estimation of 15% as profit embedded in impugned purchases and adding the same to the total income returned, would meet the ends of justice. Therefore, I direct the AO to estimate profit of 15% in the alleged bogus purchases, which works out to Rs.8,90,375 (15% of Rs. 59,35,832/-) and restrict the addition to Rs. 8,90,375/- from Rs. 2,16,66526/- made in the assessment order. The appellant get the relief for the balance of Rs. 2,07,76,151/-. Grounds of appeal are partly allowed to the above extent."

Aggrieved, now both Revenue as well as assessee preferred the appeal before Tribunal.

9. We have heard the rival contentions and gone through the facts and circumstances of the case. Before us, none of the parties have disputed that purchase to the tune of s. 59.35 lakhs is verifiable, which is from such parties only which are involved in providing accommodation bills as per the findings of Sales Tax Department. But we find that the estimation made by the CIT(A) at 15% is higher for the reason that he himself admitted the estimations ranging from 12.5% to 25% as upheld by Hon'ble Gujarat High Court in the case of CIT(A) v. Smith P Seth 365 ITR 451 (Guj) wherein Hon'ble High Court's finding is that estimation of rate of profit may unnecessarily vary with the nature of business and no uniform yardsticks can be adopted. Hon'ble High Court has confirmed the profit rate of 12.5% of the bogus purchases as estimated by ITAT Page 6 of 7 ITA No.763 & 1274/Mum/2015 Naresh Kumar Singhania; AY.10-11 being profit embedded in such transactions. Accordingly, we also are of the view that a reasonable estimate should be made and that will be profit at the rate of 12.5% instead of profit estimated by CIT(A) at 15%. We direct the AO to re- compute the income accordingly.

10. In the result, the appeal of Revenue is dismissed and assessee's appeal is partly allowed.

Order pronounced in the open court on 06-03-2017.

             Sd/-                                                   Sd/-
       (ASHWANI TANEJA)                                      (MAHAVIR SINGH)
      ACCOUNTANT MEMBER                                      JUDICIAL MEMBER

Mumbai, Dated: 06-03-2017
Sudip Sarkar /Sr.PS


Copy of the Order forwarded to:
1.    The Appellant
2.    The Respondent.
3.    The CIT (A), Mumbai.
4.    CIT
5.    DR, ITAT, Mumbai
6.    Guard file.
                                                                     BY ORDER,
      //True Copy//                                             Assistant Registrar
                                                                ITAT, MUMBAI




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