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Amount on which TDS deducted than no matter it was included or not

Apurba Ghosh ,
  05 January 2012       Share Bookmark

Court :
INCOME TAX APPELLATE TRIBUNAL
Brief :
Brief facts of the case are that in the relevant assessment year, the assessee-firm derived income from business of civil construction. The assessee had filed its return of income declaring total income of Rs.68,970/-. The Assessing Officer noticed from the audited Balance sheet and Profit & Loss A/c. the total receipt shown by the firm was at Rs.57,73,804/-. In support of its receipts, the assessee-firm had filed TDS certificates received from Missionaries of Charity, which certified making a total payment of Rs.57,73,804/- during the financial year 2007-08. The Assessing Officer observed that while examining the 26AS of the assessee-firm generated from the Departmental data base, it was found that the assessee-firm received different amounts during the financial year 2007-08
Citation :
Income Tax Officer, Ward-1, Nadia (Appellant)Vs M/s. St. Joseph Construction, Nadia (PAN: AARFS 4035 J)(Respondent)

 

IN THE INCOME TAX APPELLATE TRIBUNAL “C” BENCH : KOLKATA

 

[Before Sri S.V. Mehrotra, A.M. & Sri Mahavir Singh, J.M.]

 

I.T.A No. 1057/Kol/2011

Assessment Year: 2008-2009

 

Income Tax Officer, Ward-1, Nadia

(Appellant)

 

Vs

 

M/s. St. Joseph Construction, Nadia

(PAN: AARFS 4035 J)

(Respondent)

                                      

                                       For the Applicant: Shri A.K. Pramanick, D.R.

For the Respondent: None

 

Date of Hearing: 26.12.2011

Date of Pronouncement: 26.12.2011

 

ORDER

 

Per Shri S.V. Mehrotra, Accountant Member

 

This appeal filed by the Revenue is against the order of ld. Commissioner of Income- Tax (Appeals)-XXXVI, Kolkata dated 18.05.2011 for the assessment year 2008-09.

 

2. Brief facts of the case are that in the relevant assessment year, the assessee-firm derived income from business of civil construction. The assessee had filed its return of income declaring total income of Rs.68,970/-. The Assessing Officer noticed from the audited Balance sheet and Profit & Loss A/c. the total receipt shown by the firm was at Rs.57,73,804/-. In support of its receipts, the assessee-firm had filed TDS certificates received from Missionaries of Charity, which certified making a total payment of Rs.57,73,804/- during the financial year 2007-08. The Assessing Officer observed that while examining the 26AS of the assessee-firm generated from the Departmental data base, it was found that the assessee-firm received the following amounts during the financial year 2007-08 from different organizations and TDS had been deducted accordingly as per chart below :-

 

SN

 

TAN

Name of the

concern from

whom payment

received for

construction work

by the assessee-firm

 

Amount paid by

the concern to the

assessee-firm

during the

financial year

2007-08

 

TDS

1.

CALJ03089C

Jesus and Mary

West Bengal

Education Society

 

Rs.4,55,543/-

Rs.10,323/-

2.

CALMO3197F

Missionaries of

Charity

 

Rs.57,73,804/-

Rs.1,30,628/-

3.

. CALTO4029E

The Roma

Catholic Diocese

of Krishnanagar

 

Rs.50,00,000/-

Rs.1,08,158/-

 

 

Total

Rs.1,12,29,347/-

Rs.2,49,109/-

 

 

 

From these information’s, the Assessing Officer concluded that the assessee had not disclosed receipts totaling to Rs.54,55,543/- in its accounts. The Assessing Officer issued summons under section 131 to the Accountant of The Roman Catholic Diocese of Krishnanagar, Nadia, who produced following documents before the Assessing Officer :-

 

(1) Work order of The Roman Catholic Diocese of Krishnanagar given to assessee vide Memo No. CM(K) 2006 dated 20.02.2006,

(2) Photocopy of TDS certificate;

(3) Photocopy of payment certificate for the financial year 2007-08;

(4) Provisional receipt copy of submission of TDS return in Form No. 26Q.

From these documents, the Assessing Officer concluded that the assessee-firm had received an amount of Rs.50,00,000/- from The Roman Catholic Diocese of Krishnanagar during the financial year 2007-08, but the assessee-firm did not disclose this gross receipt as well as income to the revenue. The Assessing Officer has also examined the date of issue of cheque by The Roman Catholic Diocese of Krishnanagar, and also deposit in the assessee’s Bank a/c., the details of which are given at pages 5-6 of assessment order and from these details, he pointed out that the partners of the assessee-firm admitted that an additional amount was received besides the amount specified earlier in the return filed for the assessment year 2008-09. He has reproduced the details from the written submissions of the partners. The Assessing Officer also examined the purchases made by the assessee and from all the details after considering the assessee’s explanation concluded that the assessee concealed the receipts from different organizations amounting to Rs.54,55,53/- and made an addition of Rs.54,55,543/-. He also observed that the details of purchases furnished by the assessee from Hindustan Hardware, Krishnanagar, Nadia amounting to Rs.17,56,021/- were genuine and, therefore, no action was called for on this account.

 

3. Ld. CIT(Appeals) after considering the assessee’s submissions directed the Assessing Officer to reject the books of accounts of the assessee-firm since the assessee had concealed huge contractual receipts to the tune of Rs.54,55,543/-. He also directed the Assessing Officer to estimate the profit @ 8% on the entire receipts of Rs.1,12,29,347/- equivalent to Rs.8,98,348/-, net of all expenses including salary and interest payments to partners.

 

4. At the time of hearing, none appeared on behalf of the assessee. Learned Departmental Representative relied on the order of Assessing Officer.

 

5. We have considered the submissions of ld. D.R. By considering the totality of the facts and circumstances of the case, in our opinion, no interference is called for in the order of ld. CIT(Appeals) as he has directed the Assessing Officer to compute net profit at 8% on the entire receipts including the receipts found to have been concealed by the assessee. In any case, the entire receipts, as added by the Assessing Officer, could not be added because it is not disputed that the impugned amount had been received from the contract work carried on by the assessee. It is not the case of Assessing officer that the source of impugned sum of Rs.54,55,543/- was other than the business. Therefore, we confirm the order of ld. CIT(Appeals) and reject the ground of appeal taken by the Revenue.

 

6. In the result, the appeal filed by the Revenue is dismissed.

 

ORDER PRONOUNCED IN THE OPEN COURT ON 26/ 12 /2011.

 

                                   Sd/-                                                           Sd/-

                         [ Mahavir Singh]                                   [S.V. Mehrotra]

                          Judicial Member                              Accountant Member

Dated : 26/ 12/ 2011

 

Copy of the order forwarded to:

 

1. M/s. St. Joseph Construction, R.C. Para, Cathedral Road, P.O. Krishnanagar, Nadia.

2  ITO, Ward-1, Nadia

3. Commissioner of Income-tax (Appeals)- , Kolkata

4. CIT- , Kolkata

5. DR, Kolkata Benches, Kolkata

      

(True Copy)

                                                                                                    By Order

Assistant Registrar, I.T.A.T., Kolkata

 Laha, Sr . P.S.

 
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