• twitter-icon
Unlimited Tax Return Filing


Chennai ITAT Removes Addition Related to Inexplicable Investment in the Difference of Stock Valuation

Chennai ITAT's Order In Case of Ethiraj Hotel Mart vs DCIT

The Chennai Bench of Income Tax Appellate Tribunal (ITAT) has deleted the addition of unelaborated investment in stock as a difference in the valuation of stock.

Mahavir Singh (Vice President) and Manjunatha. G. (Accountant Member), presiding over the bench, have observed that the assessee declared additional income attributable to excess stock discovered during a survey.

The assessee clarified that the source of the excess stock was income earned from the current or previous years’ business and voluntarily surrendered the corresponding amount. The Assessing Officer (AO) did not take any action to challenge the assessee’s assertion that the source was not from business income.

The appellant/assessee operates in the wholesale trading sector, dealing with stainless steel items, crockery, aluminium, and electric items. A survey was conducted at the business premises of the assessee.

The AO concluded the assessment by noting that the physical stock at the business premises exceeded the inventory recorded during the survey. Upon comparing it with the stock in the books of accounts, the survey team identified excess stock valued at Rs. 1,04,00,600.

Upon being notified, the assessee voluntarily included a sum of Rs. 1,04,00,600 for taxation. The assessee argued that the excess stock had been categorized as ‘business income’ and therefore should not be considered for addition under Section 69B of the Income Tax Act.

However, the Assessing Officer (AO) determined that the excess stock should be treated as an unexplained investment under Section 69B and subjected to taxation according to the provisions of Section 115BBE. Consequently, the AO assessed the income offered during the survey as an unexplained investment and levied tax.

The assessee appealed to the Commissioner of Income Tax (Appeals) [CIT(A)]. After reviewing the assessee’s submissions, the CIT(A) affirmed the AO’s decision, noting that the excess stock had been assessed as ‘unaccounted investment’ rather than ‘business income.’

Relevance:- Chennai ITAT Nullifies Section 68 Addition Related to Cash Receipts Converted into Sale of Jewellery

The tribunal ruled against the AO’s application of Section 115BBE, emphasizing that the admitted difference of Rs. 1,04,00,600 should be taxed as ‘normal business income’ and not as an ‘unexplained investment’ under Section 69B of the Income Tax Act.

Disclaimer:- "All the information given is from credible and authentic resources and has been published after moderation. Any change in detail or information other than fact must be considered a human error. The blog we write is to provide updated information. You can raise any query on matters related to blog content. Also, note that we don’t provide any type of consultancy so we are sorry for being unable to reply to consultancy queries. Also, we do mention that our replies are solely on a practical basis and we advise you to cross verify with professional authorities for a fact check."

Published by Arpit Kulshrestha
Arpit Kulshrestha seeks higher interests in financial services, taxation, GST, I-T, etc. Writes articles with depth knowledge and is extensive for the same. The resources provide effective articles for the products of SAG infotech which provides taxation and IT software. Writing from observations and researching makes his articles virtuous. View more posts
SAGINFOTECH PRODUCTS

Leave a comment

Your email address will not be published. Required fields are marked *

Follow Us on Google News

Google News

Latest Posts

New Offer for Professionals

Super Tax Offer

Upto 20% Off
Tax, ROC/MCA, XBRL, Payroll, Online GST

Limited Offer, Hurry

Big Offer for Tax Experts

Upto 20% Discount on Tax Software

    Select Product*

    Genius Software