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Income Tax Appellate Tribunal - Bangalore

Smt. Vageeshwari Srinivas,, Ben vs Income Tax Officer, Ward 4(3)(4), , Ben on 21 October, 2020

              IN THE INCOME TAX APPELLATE TRIBUNAL
                       'B' BENCH : BANGALORE

              BEFORE SHRI A.K GARODIA, ACCOUNTANT MEMBER
                               AND
                SMT. BEENA PILLAI, JUDICIAL MEMBER

                In ITA No.1841 to 1844/Bang/2018
              Assessment Year : 2011-12 to 2014-15


Smt. Vageeshwari Srinivas,     The Income Tax Officer,
Basement Mangam Pride,         Ward-4(3)(4),
Sector-II, HSR Layout,         Bengaluru.
Bengaluru-560 034.         Vs.

PAN - AAVPV 1002E
       APPELLANT                            RESPONDENT


        Appellate by    : Smt. Sheethal Borkar, Advocate
        Respondent by   : Shri Priyadarshi Mishra, JCIT


              Date of Hearing           : 08-10-2020
              Date of Pronouncement     : 21-10-2020


                               ORDER


   PER BEENA PILLAI, JUDICIAL MEMBER

Present appeals has been filed by assessee against separate orders dated 28/03/2018 passed by Ld.CIT(A)-4, Bangalore for assessment years 2011-12 to 2014-15.

2. Ld. A.R. submitted that issue raised by assessee in all years under consideration are common and identical.

3. Ld.AR submitted that ground No. 1 raised in all the appeals under consideration are general in nature and Page 2 of 6 ITA No.1841 to 1844/Bang/2018 therefore do not require adjudication. She submitted that for all years under consideration assessment order has been passed under section 143 (3) read with section 148 of the act. Assessee before this Tribunal has challenged reopening of assessment to be bad in law. She submitted that the said issue has been alleged by assessee in Ground No. 2 for all years under consideration, and that, assessee do not wish to press this Ground .

4. Accordingly, Ground No.1 and 2 of appeals for years under consideration is dismissed as withdrawn. GROUND 3-7

5. Ld.AR submitted that, issue alleged by assessee in ground 3-7 relates to addition on account of unexplained cash sales. Ld.AR submitted that, except for the amount of addition made by Ld.AO, facts relating to the addition are identical and similar for all years under consideration. Ld.AR submitted that said addition was made by Ld.AO based on submission made by representative on behalf of assessee, that certain cash sales were not accounted for in the books of accounts.

6. Aggrieved by additions made by Ld.AO, assessee preferred appeal before Ld.CIT(A), who recorded a finding that, representative had willingly consented to the addition before Ld.AO.

7. Aggrieved by addition confirmed by Ld.CIT(A), assessee is in appeal before us. Ld.AR referred to affidavit dated 30/12/2019 filed by representative who appeared before Ld.AO during assessment proceedings for all years under Page 3 of 6 ITA No.1841 to 1844/Bang/2018 consideration. She submitted that, representative stated under oath of having consented to the addition to buy peace. Ld.AR further submitted that, assessing officer did not reject books of account at any stage, however came to a conclusion that, certain cash sales for each assessment years were unaccounted for. She further submitted that Ld.AO failed to provide details of alleged cash sales that were not accounted for in the books of account.

8. On the contrary, Ld.S.DR submitted that, assessee failed to reconcile the statement submitted and has not brought on record specific details/evidences to controvert the findings of Ld.AO. He thus supported the orders passed by authorities below.

9. We have perused submissions advanced by both sides in light of records placed before us.

10. We note that the representative who appeared before Ld.AO in his affidavit has given a statement under oath that, there has been no sales outside the books, and that, books were audited that were filed before authorities below. In assessment order passed, we note that, assessing officer has not provided bifurcations of cash sales added as unaccounted in books of account. Ld.AO has not provided details of impugned addition for years under consideration in the assessment order passed. Ld.AO has also not recorded details of alleged cash sales from sales register that was unaccounted by assessee.

11. We are therefore of opinion that the issue needs to be remanded to Ld.AO with a direction to provide details of Page 4 of 6 ITA No.1841 to 1844/Bang/2018 impugned additions for relevant assessment years were identified by Ld.AO to be unaccounted in the books of account. Assessee is directed explain the cash sales found in the sales register alleged to be unaccounted with supportive documents. Ld.AO is directed to pass a detailed order after considering the material is filed by assessee in support of its claim in accordance with law. Ld.AO shall verify the details/evidences filed by assessee in accordance with law. In the event assessee fails to file requisite details/evidences within reasonable time, adverse inference may be drawn by Ld.AO.

12. Needless to say that, proper opportunity of being heard, must be granted to assessee, in accordance with law. Accordingly, grounds 3-7 raised by assessee for all years under consideration stands allowed for statistical purposes.

In the result appeal is filed by assessee for all years under consideration stands partly allowed.

Order pronounced in the open court on 21st Oct, 2020.

         Sd/-                                        Sd/-
 (A.K GARODIA)                               (BEENA PILLAI)
Accountant Member                           Judicial Member
Bangalore,
Dated, the 21st Oct, 2020.
/Vms/
                            Page 5 of 6
                                   ITA No.1841 to 1844/Bang/2018

Copy to:
1.   Appellant
2.   Respondent
3.   CIT
4.   CIT(A)
5.   DR, ITAT, Bangalore
6.   Guard file

                                             By order


                                       Assistant Registrar,

Income-Tax Appellate Tribunal.

Bangalore.

                          Page 6 of 6
                                 ITA No.1841 to 1844/Bang/2018


                                   Date       Initial
1.   Draft dictated on            On Dragon              Sr.PS
2.   Draft    placed     before   -10-2020               Sr.PS
     author
3.   Draft proposed & placed       -10-2020             JM/AM
     before    the    second
     member
4.   Draft discussed/approved      -10-2020             JM/AM
     by Second Member.
5.   Approved Draft comes to       -10-2020             Sr.PS/PS
     the Sr.PS/PS
6.   Kept for pronouncement        -10-2020              Sr.PS
     on
7.   Date of uploading     the     -10-2020              Sr.PS
     order on Website
8.   If not uploaded, furnish        --                  Sr.PS
     the reason
9.   File sent to the Bench        -10-2020              Sr.PS
     Clerk
10. Date on which file goes to
    the AR
11. Date on which file goes to
    the Head Clerk.
12. Date of dispatch of Order.
13. Draft dictation sheets are       No                  Sr.PS
    attached