A IN THE INCOME TAX APPELLATE TRIBUNAL A BENCH, MUMBAI BEFORE SHRI MAHAVIR SINGH, JUDICIAL MEMBER AND SHRI RAMIT KOCHAR, ACCOUNTANT MEMBER ./ I.T.A. NO. 1207 /MUM/2012 ( / ASSESSMENT YEAR : 2008-09) M/S KUMUDCHANDRA D. MEHTA, 14, HANVANT BHUVAN, 80E, NEPEAN SEA ROAD, MUMBAI 400 006. / V. ACIT RANGE 16(2), MUMBAI. ./ PAN : AAAFK6824G ( / APPELLANT ) .. ( / RESPONDENT ) ASSESSEE BY MS. MRUGAKSHI JOSHI REVENUE BY : SHRI AARSI PRASAD / DATE OF HEARING : 09-6-2016 / DATE OF PRONOUNCEMENT : 07-09-2016 / O R D E R PER RAMIT KOCHAR, ACCOUNTANT MEMBER THIS APPEAL, FILED BY THE ASSESSEE FIRM , BEING IT A NO. 1207/MUM/2012, IS DIRECTED AGAINST THE APPELLATE OR DER DATED 16 TH DECEMBER, 2011 PASSED BY LEARNED COMMISSIONER OF IN COME TAX (APPEALS)- 27, MUMBAI (HEREINAFTER CALLED THE CIT(A)), FOR T HE ASSESSMENT YEAR 2008- 09, THE APPELLATE PROCEEDINGS BEFORE THE LEARNED CI T(A) ARISING FROM THE ASSESSMENT ORDER DATED 23 RD DECEMBER, 2010 PASSED BY LEARNED THE ASSESSING OFFICER (HEREINAFTER CALLED THE AO) U/S 143(3) OF THE INCOME TAX ACT,1961 (HEREINAFTER CALLED THE ACT). ITA 1207 /MUM/2012 2 2. THE GROUNDS OF APPEAL RAISED BY THE ASSESSEE FIR M IN THE MEMO OF APPEAL FILED WITH THE INCOME TAX APPELLATE TRIBUNAL , MUMBAI (HEREINAFTER CALLED THE TRIBUNAL) READ AS UNDER:- ON THE FACTS AND CIRCUMSTANCES OF THE CASE AND IN LAW , 1. THE LEARNED CIT (A) HAS ERRED IN CONFIRMING THE ADDI TION OF RS. 5,37,250/- ON ACCOUNT OF ESTIMATING THE GROSS PROFIT @ 7% INSTEAD OF ACCEPTING THE GROSS PROFIT @ 6.93% AS RETURNED BY THE APPELLANT. 3. THE BRIEF FACTS OF THE CASE ARE THAT THE ASSESSE E FIRMS DEALS IN DIAMONDS. THE A.O. OBSERVED THAT DURING THE RELEVAN T PREVIOUS YEAR, TOTAL SALES OF THE ASSESSEE FIRMWAS RS.81,60,68,947/- WHICH INCLUDED EXPORT OF CUT/POLISHED DIAMONDS OF RS.47,35,18,419/- AND LOCA L SALE OF POLISHED DIAMONDS OF RS. 33,45,86,347/- AND EXPORT SALE OF R OUGH DIAMONDS OF RS. 79,64,181/-. THE ASSESSEE FIRM HAS SHOWN AN INCOME OF RS. 91,01,299/- FROM THE EXCHANGE RATE DIFFERENCE WHICH IS A PART OF THE GROSS PROFIT. THE GROSS PROFIT OF RS.5,65,87,574/- WAS WORKED OUT AND THE G P RATE WAS ARRIVED AT 6.93%. THE GP RATIO ARRIVED IN THE LAST ASSESSMENT YEAR WAS 7.79%. THE ASSESSEE FIRM WAS ASKED TO EXPLAIN THE REASON FOR T HE FALL IN GROSS PROFIT RATIO. THE ASSESSEE FIRM EXPLAINED THAT THE ASSESSEE FIRM MAINTAINS THE STOCK OF ROUGH DIAMONDS AT COST. THE ASSESSEE VALUES THE CLO SING STOCK OF POLISHED DIAMONDS AT COST PLUS LABOUR. THE ASSESSEE SUBMIT TED THAT DURING THE YEAR UNDER CONSIDERATION THE VALUE OF THE CLOSING STOCK OF POLISHED DIAMOND WAS RS.46,92,889/- WHICH COMPRISED OF 228.95 CARATS. TH E ASSESSEE SUBMITTED THE DETAILS OF INVENTORY OF POLISHED DIAMONDS AND I TS SUBSEQUENT REALIZATION IN THE ASSESSMENT YEAR 2009-10 ALONG WITH COPY OF S ALE INVOICES DULY MARKED THERE IN THE ITEMS EXPORTED ARE ALSO FILED BEFORE T HE AO. ON PERUSAL OF THE SAME, IT WAS SUBMITTED THAT THE VALUATION OF POLISH ED DIAMONDS IS PROPER. ITA 1207 /MUM/2012 3 THE COMPARATIVE ANALYSIS OF GROSS PROFIT, GP % AND SALES OF LAST THREE ASSESSMENT YEARS WAS CULLED OUT AS FOLLOWS:- A.Y. SALES (IN RS.) GROSS PROFIT (IN RS.) G.P.% 200809 81,60,68,947 5,65,87,574 6.93 200708 65,91,11,112 5,13,28,051 7.79 200607 38,31,22,862 3,09,81,525 8.09 FROM THE ABOVE TABLE IT CAN BE SEEN THAT THE TURNOV ER OF THE FIRM HAS GONE UP BY ABOUT 25% DURING THE YEAR AS COMPARED TO PRECEDI NG YEAR AND HENCE THERE WAS SLIGHT FALL IN GROSS PROFIT MARGIN RATIO. THE A SSESSEE SUBMITTED THAT DURING THE YEAR UNDER ASSESSMENT THE DIAMOND TRADE INDUSTRY HAS FACED TREMENDOUS RECESSION AND HENCE THE REALIZATION WAS SLIGHTLY LESS AS COMPARED TO EARLIER YEARS. THE GROSS PROFIT OF THE ASSESSEE IS MUCH HIGHER AS COMPARED TO OTHER FIRMS. THE ASSESSEE ALSO SUBMITTED THAT TH E ASSESSEE MAINTAINS DAY TO DAY STOCK REGISTER IN RESPECT OF ROUGH DIAMONDS AND POLISHED DIAMONDS. THE ASSESSEE SUBMITTED THAT THE MUMBAI TRIBUNAL HAS DELETED THE ENTIRE ADDITION MADE BY A.O. IN ASSESSEES OWN CASE IN THE ASSESSMENT YEAR 2003-04 AND HENCE THE BOOK RESULTS MAY BE ACCEPTED. THE A.O. HAD GONE THROUGH THE REPLY OF THE ASSESSEE AND OBSERVED AS UNDER:- (A) THE ASSESSEE MAINTAINS STOCK REGISTER OF ROUGH DIAMONDS. IT CONSIST OF DATE, MENTION OF WHETHER IT IS PURCHA SE OR SENT FOR MANUFACTURING, WEIGHT OF PURCHASED ROUGH DIAMOND IN CARATS, WEIGHT OF ROUGH DIAMONDS IN CARATS SENT FOR MANUFAC TURING AND VALUE OF ONLY ROUGH DIAMONDS PURCHASES. VALUE OF RO UGH DIAMONDS, AGAINST EACH LOT IS NOT STATED. IT DOES N OT STATE AS TO ITA 1207 /MUM/2012 4 WHICH PURCHASE OF ROUGH DIAMONDS HAS BEEN SENT FOR MANUFACTURING. PURCHASE COST OF EACH PURCHASE OF RO UGH DIAMONDS IS DIFFERENT. FOR INSTANCE THE OPENING STO CK OF ROUGH DIAMOND IS VALUED @ RS.25,526.54 PER CARAT. THE FIR ST PURCHASE IS @ RS.33,222.91 PER CARAT. THE SECOND PURCHASE IS @ RS.36,309.60 PER CARAT. THE 3RD PURCHASE IS @ RS.23 ,927.87 PER CARAT. THE LAST PURCHASE IS @ RS.24,048/- PER CARAT . THE LAST BUT ONE PURCHASE IS @ RS.22,094.78 PER CARAT. PURCHASES , AS LOW AS @ RS.3,770/- PER CARAT HAS ALSO BEEN MADE. (B) THE AVERAGE YIELD HAS ALSO COME DOWN FROM 43.32 % TO 41.60%, IN COMPARISON TO LAST YEAR. NO RECORD OF YI ELD OF EACH LOT SENT FOR MANUFACTURING HAS BEEN MAINTAINED. (C) THE EXPORT SALE OF 1266.81 CARATS OF ROUGH DIAM OND HAS BEEN MADE @ RS.6,286.79 PER CARAT. (D) IN NOWHERE IN THIS STOCK REGISTER IT IS STATED AS TO WHICH LOT IS BEING SENT TO KARIGARS OR TO ITS OWN FACTORY FOR MA NUFACTURING OF THE POLISHED DIAMONDS. IN THE ABSENCE OF WHICH IT I S NO POSSIBLE TO WORK OUT THE EXACT COST OF ROUGH DIAMONDS SENT F OR MANUFACTURING OF THE POLISHED DIAMONDS AND CONSEQUE NTLY NO PROPER VALUE OF THE POLISHED DIAMONDS CAN BE MADE. (E) THE 1ST RECEIPT OF THE MANUFACTURED POLISHED DI AMONDS WEIGHING 900.25 CARATS HAS BEEN SHOWN ON 30.4.2007. THIS WORK WAS CARRIED OUT IN ITS OWN FACTORY BY THE ASSESSEE. WHEN THE ROUGH DIAMONDS WERE SENT TO THE FACTORY AND WHICH P ART OF THE PURCHASES OF ROUGH DIAMONDS WERE SENT TO THE FACTOR Y, IS NOT EVIDENT FROM THE STOCK REGISTER FILED, IT IS NOT PO SSIBLE TO VALUE ITA 1207 /MUM/2012 5 CORRECTLY THE POLISHED DIAMONDS RECEIVED OUT OF ROU GH DIAMONDS SENT FOR MANUFACTURING. (F) STOCK REGISTER OF POLISHED DIAMOND IS ALSO FILE D. IT CONSIST OF DATE, OPENING STOCK OF POLISHED DIAMONDS IN CARATS, WEIGHT OF POLISHED DIAMONDS RECEIVED ON MANUFACTURING IN CARA TS AND TOTAL VALUE OF POLISHED DIAMONDS. IT DOES NOT CONSIST OF NUMBER OF PIECES OF DIAMONDS RECEIVED, THEIR SIZE OR WEIGHT, ITS CUT, ITS QUALITY, ITS CLARITY. THESE ARE THE PARAMETER WHICH DECIDES THE VALUE OF THE POLISHED DIAMONDS. (G) 1ST SALE OR EXPORT OF POLISHED DIAMONDS WAS MAD E ON 11.05.2007. IT WAS 60.49 CARATS. IT WAS @ RS.92,860 .29 PER CARAT. THE SECOND SALE WAS @ RS.27,129.35 PER CARAT. THE T HIRD SALE WAS @ RS. 50,726.98 PER CARAT. THE 4TH SALE WAS @ RS. 3 1,312.17 PER CARAT; THE AVERAGE VALUE OF THE OPENING STOCK OF PO LISHED DIAMONDS WAS @ RS.35,841.92 PER CARAT. THE LOWEST R ATE OF SALE OF POLISHED DIAMONDS RS.9,000/- PER CARAT. THE HIGH EST RATE OF SALE OF POLISHED DIAMONDS WAS RS.2,22,582/- PER CAR AT. BUT IN NOWHERE IN THE STOCK REGISTER THE SIZE OR NUMBER OF PIECES OR QUALITY OR CLARITY OR COLOUR OF THE DIAMOND HAS BEE N MENTIONED. (H) IN THE OPENING STOCK OF THE POLISHED DIAMONDS A ND IN THE CLOSING STOCK OF THE POLISHED DIAMONDS, NO WHERE TH E SIZE OR NUMBER OF PIECES, OR COLOUR OR CLARITY HAS BEEN STA TED. IN THE ABSENCE OF WHICH NO RELIABILITY CAN BE PLACED UPON THEIR VALUATION. (I) THE ASSESSEE HAS FILED COPY OF THE SALE BILLS O F THE ITEMS, WHICH WERE APPEARING IN THE CLOSING STOCK AS ON 31.3.2008 . IN THE BILL ITA 1207 /MUM/2012 6 TYPE OF DIAMOND AS '1 D CUT BLACK DIAMOND', THEIR N UMBER OF PIECES AND THEIR WEIGHT IN CARAT HAS BEEN STATED. W HEN THESE DETAILS CAN BE STATED IN THE SALE BILL WHY CANNOT S AME BE STATED IN THE STOCK REGISTER. FROM THE ABOVE DISCUSSION THE AO OBSERVED THAT IT I S CLEAR THAT ASSESSEE IS MAINTAINING ITS PRODUCTION RECORDS IN S UCH A MANNER THAT THE : (I) WHAT PART OF ROUGH DIAMONDS HAS BEEN SENT FOR MANUFACTURING IS NOT EVIDENT. (II) THE NUMBER OF PIECES OF DIAMONDS RECEIVED, WEI GHT OF EACH PIECE, ITS SIZE OR CUT, COLOUR OF EACH PIECE A ND ITS CLARITY ETC., OF THE RECEIVED MANUFACTURED POLISHED DIAMONDS ARE NOT EVIDENT. (III) THESE ARE THE PARAMETERS, TO DECIDES THE VALU E OF A PARTICULAR PIECE OF DIAMOND. UNDER THE CIRCUMSTANCES THE AO OBSERVED THAT THE VA LUATION OF OPENING STOCK, THE VALUATION OF MANUFACTURED STOCK AND THE VALUATION OF CLOSING STOCK IS NOT OPEN TO THE VERIFICATION. THE MANUFACTURING RESULTS, VALUATION OF STOCK AND FINALLY, THE BOOK RESULTS OF THE ASSESSEE CANNO T BE ACCEPTED. SO THE REASONS GIVEN IN THE FALL OF GROSS PROFIT ARE ALSO NOT ACCEPTABLE. THE AO OBSERVED THAT IT IS AN ACCEPTED FACT THAT TH E ASSESSEE MAINTAINS STOCK OF ROUGH DIAMONDS AT COST AND IT IS NOT DISPUTED. ITA 1207 /MUM/2012 7 THE AO OBSERVED THAT THE ASSESSEE'S SUBMISSION THA T HE VALUES ITS CLOSING STOCK OF POLISHED DIAMONDS AT 'COST + LABOUR' AND I NVENTORY OF CLOSING STOCK OF POLISHED DIAMONDS HAS BEEN FILED AND ON THE BASI S OF IT THE VALUATION OF CLOSING STOCK IS PROPER, IS NOT ACCEPTABLE. THE INV ENTORY OF CLOSING STOCK OF POLISHED DIAMONDS CONSIST OF WEIGHT IN CARATS AND I TS VALUE. WHAT IS THE NUMBER OF PIECES, WHAT IS THE COLOUR OF PIECES, WHA T IS THE WEIGHT OF EACH PIECE, WHAT IS THE- SIZE OF EACH PIECE, WHAT PIECE IS MADE OUT OF WHICH PURCHASE OF ROUGH DIAMOND IS NOT AVAILABLE. AS VALU ATION OF EACH PIECE OF DIAMOND DEPENDS UPON THE ABOVE PARAMETERS, THE SUBM ISSION OF THE ASSESSEE WAS NOT ACCEPTED BY THE AO AS NONE OF THE DETAILS H AS BEEN FILED. WHEN THIS DETAILS CAN BE FURNISHED IN THE SALE BILL WHY CAN'T IT BE MAINTAINED IN THE STOCK REGISTER. THE AO OBSERVED THAT IF THE TURNOVER HAS GONE UP, T HEN IT DOES NOT MEAN THAT THE GROSS PROFIT HAS TO COME DOWN. EVEN THERE IS FA LL IN YIELD, DESPITE THE UTILIZATION OF SOPHISTICATED MACHINERY FOR CUTTING AND POLISHING. THE AO OBSERVED THAT THE FIGURES OF GROSS PROFIT RATES FU RNISHED BY THE ASSESSEE IN OTHER CASES SHOW THAT IN THE CASE OF M/S RIKEN & CO ., THE G.P. RATE IS 8.08%. THE AO OBSERVED THAT THE ASSESSEE MAINTAINS DAY TO DAY STOCK REGISTERS OF ROUGH DIAMONDS AND POLISHED DIAMONDS WHICH IS ACCEP TED, BUT WHEN IT LACKS BASIC DETAILS AS STATED ABOVE, THE SAME CANNOT JUST IFY THE CORRECTNESS OF THE BOOK RESULTS. IT WAS OBSERVED BY THE AO THAT THE 'A' BENCH OF ITA T, MUMBAI'S DECISION IN THE ASSESSEE'S OWN CASE FOR THE ASSESSMENT YEAR 200 3-04 WAS ON THE DIFFERENT FOOTINGS. THE FACTS WERE DIFFERENT IN THAT CASE. TH E ABOVE STATED DEFECTS WERE NEVER BROUGHT ON THE RECORDS. THE SAID DECISION IS NOT APPLICABLE IN THE INSTANT CASE WAS THE OBSERVATIONS OF THE AO. ITA 1207 /MUM/2012 8 THUS, THE A.O. CAME TO THE CONCLUSION THAT THE METH OD ADOPTED BY THE ASSESSEE TO MAINTAIN THE RECORDS OF ROUGH DIAMONDS, SENDING FOR MANUFACTURING, ITS RECEIPT BACK AS POLISHED DIAMOND S AND ITS VALUATION WAS NOT SATISFACTORY. THE A.O. OBSERVED THAT IT DOES N OT GIVE CORRECT PROFIT OF THE BUSINESS, HENCE, THIS IS THE REASON FOR FALL IN THE GROSS PROFIT SHOWN BY THE ASSESSEE. THE A.O. ALSO REJECTED THE BOOK RESULTS U/S 145 OF THE ACT. THE A.O. ACCORDINGLY WORKED OUT THE FRESH FIGURE OF SAL ES AT RS. 83,35,13,362/- BY APPLYING GP RATIO OF 7.79% AS IT WAS IN THE LAST YE AR. SIMILARLY , THE EXTRA PROFIT WAS WORKED OUT AT RS. 83,43,116/- WHICH WAS ADDED TO THE INCOME OF THE ASSESSEE BY THE AO VIDE ASSESSMENT ORDER DATED 23.12.2010 PASSED BY THE AO U/S 143(3) OF THE ACT. 4. AGGRIEVED BY THE ASSESSMENT ORDER DATED 23.12.20 10 PASSED BY THE A.O. U/S 143(3) OF THE ACT, THE ASSESSEE FILED ITS FIRST APPEAL BEFORE THE LD. CIT(A). 5. BEFORE THE LD. CIT(A) , THE ASSESSEE CONTENDED T HAT THE ASSESSEE IS A MANUFACTURER AND EXPORTER OF CUT AND POLISHED DIAMO NDS. THE ASSESSEE IMPORTS ROUGH DIAMONDS AND GETS IT MANUFACTURED IN ITS OWN FACTORY AS WELL AS GETS IT POLISHED THROUGH OUTSIDE LABOUR PARTIES. THE ASSESSEE ALSO PURCHASES POLISHED DIAMONDS FROM THE LOCAL MARKET A ND EXPORTS POLISHED DIAMONDS AS WELL AS SELL THE SAME IN THE LOCAL MARK ET. THE ASSESSEE BUYS VARIOUS QUALITIES OF ROUGH DIAMONDS DEPENDING UPON THE DEMAND IN THE INTERNATIONAL MARKET. THE ASSESSEE MAINTAINS DAY TO DAY STOCK REGISTER IN RESPECT OF ROUGH DIAMONDS AS WELL AS POLISHED DIAMO NDS. THE ASSESSEE SUBMITTED THAT ALL PURCHASES AND SALES PERTAINING T O IMPORT AND EXPORT WERE SUBJECT TO STRICT SURVEILLANCE OF CUSTOMS. QUALITY- WISE POLISHED DIAMOND STOCK WAS NOT MAINTAINED IN VIEW OF THE DIFFERENT Q UALITY OF POLISHED DIAMONDS DUE TO FACTORS LIKE WEIGHT, CUT, CLARITY, COLOUR, S HAPE AND NUMBER OF PIECES. IT WAS SUBMITTED THAT DUE TO PECULIARITY OF DIAMOND TR ADE AND THE HIGH PRICE OF THE COMMODITY THE SALE OF DIAMOND ACTIVITY IS A COM PLEX AFFAIR. WHEN THE ITA 1207 /MUM/2012 9 DIAMONDS ARE SHOWN TO THE CUSTOMERS IN PACKETS, IT IS NOT NECESSARY THAT THE ENTIRE PACKET WILL BE BOUGHT BY THEM. THE BUYER HIM SELF ASSORTS THE DIAMOND OR THROUGH HIS STAFF AND OFFERS THE PRICE WITH A CO NDITION THAT HE WILL BUY ONLY 70% TO 80% OF THE GOODS SHOWN TO HIM DEPENDING UPON THE ORDERS HE HAS IN HIS HAND. WHEN SUCH UNSOLD GOODS ARE RECEIVED BACK FROM THE PROSPECTIVE BUYERS, THESE DIAMONDS ARE AGAIN MIXED WITH OTHER P ACKET CONTAINING POLISHED DIAMONDS. THIS CYCLE OF TRADE IS A PERPETU AL ONE. HENCE IT IS NOT ONLY CUMBERSOME BUT A HERCULEAN TASK TO MAINTAIN THE STO CK OF POLISHED DIAMONDS ACCORDING TO QUALITY. THERE ARE MORE THAN 2500 EXPO RTERS IN THE DIAMOND TRADE AND NONE OF THEM MAINTAINS THE STOCK REGISTER OF POLISHED DIAMONDS QUALITY WISE WAS THE CONTENTION OF THE ASSESSEE BEF ORE THE LEARNED CIT(A). IT WAS SUBMITTED THAT FOR THE ASSESSMENT YEAR 2007-08 NO SUCH ADDITIONS HAVE BEEN MADE BY THE REVENUE VIDE ASSESSMENT ORDERS FAR MED U/S 143(3) OF THE ACT, ALTHOUGH THE SAME PRACTICE OF MAINTAINING THE STOCK REGISTERS WAS FOLLOWED. THE ADDITION HAS BEEN MADE MAINLY IN THE INSTANT ASSESSMENT YEAR DUE TO FALL IN THE GROSS PROFIT AND THAT THE VALUAT ION OF OPENING STOCK, VALUATION OF MANUFACTURED STOCK AND VALUATION OF CL OSING STOCK WAS NOT OPEN TO VERIFICATION AND HENCE THE BOOK RESULTS OF THE A SSESSEE WAS REJECTED AND THE REASONS GIVEN FOR FALL IN GP WERE ALSO NOT ACCEPTAB LE TO THE A.O. . THE ASSESSEE SUBMITTED THAT THE TRIBUNAL CONSIDERED THE SUBMISSI ONS OF THE ASSESSEE ON THESE ISSUES AND THE APPEAL FILED BY THE DEPARTMENT WAS DISMISSED FOR THE ASSESSMENT YEAR 2003-04. THE A.O. ALLEGED THAT THE AVERAGE YIELD HAS COME DOWN FROM 43.32% TO 41.6%. IT WAS SUBMITTED BY THE ASSESSEE THAT THE ASSESSEE DEALS IN DIFFERENT VARIETY OF ROUGH DIAMON DS EACH YEAR. THERE ARE ABOUT 350 QUALITIES OF ROUGH DIAMONDS AND IT IS NOT NECESSARY THAT THE ASSESSEE MANUFACTURES THE SAME QUALITY OF ROUGH DIA MONDS AS DONE IN THE PREVIOUS YEAR, HENCE, THE COMPARISON OF YIELD IS IR RELEVANT. IT WAS SUBMITTED THAT IN THE ASSESSMENT YEAR 2007-08 THE TURNOVER C OMPRISED OF THE ENTIRE EXPORTS , WHILE IN THE ASSESSMENT YEAR 2008-09 OUT OF RS. 81.60 CRORE TURNOVER THE ASSESSEE HAD EXPORTED POLISHED DIAMOND S WORTH RS 47.35 CRORES ITA 1207 /MUM/2012 10 AND HAD MADE LOCAL SALES OF RS 33.46 CRORES. IT WAS SUBMITTED BY THE ASSESSEE THAT THERE WAS RECESSION IN THE INTERNATIONAL MARKE T LIKE USA, JAPAN, EUROPE ETC. DUE TO BANKRUPTCIES OF LEADING BANK AND MUTUAL FUND IN USA AND IT IS A COMMON KNOWLEDGE THAT THE MARGIN OF PROFIT IS ALWAY S BETTER IN THE EXPORT MARKET THAN IN THE LOCAL MARKET. THIS WAS ALSO PRIM E REASON FOR FALL IN G.P. RATIO. THE ASSESSEE SUBMITTED THAT THE A.O. IN HIS ORDER MENTIONED THAT IN THE CASE OF M/S. RIKEN & CO., THE GP RATE WAS 8.08% WHI CH IS HIGHER THAN SHOWN BY THE ASSESSEE. THE A.O. HAS IGNORED THE TURNOVER OF THIS COMPANY WHICH IS RS. 10 CRORES AND HENCE THE SAID CASE IS NOT COMPAR ABLE. IT WAS SUBMITTED THAT THE ASSESSEE HAD DONE MANUFACTURING ACTIVITY F OR THE FIRST TIME AT ITS FACTORY AT DAHISAR AND HAD PAID WAGES TO ITS OWN WO RKERS OF RS.36,66,550/-. XEROX COPY OF THE WAGE REGISTER OF THE ENTIRE PREVI OUS YEAR IN THIS REGARD WAS ALSO FILED. IT WAS SUBMITTED THAT THE PARTNERS OF T HE ASSESSEE FIRM HAD NO EXPERIENCE OF RUNNING THE FACTORY AND THE WORKERS W ERE TAKING THEM FOR A RIDE. THERE WERE GO SLOW PRACTICE ON THE PART OF THE WORK ERS WHICH HAMPERED THE PRODUCTION AS WELL. THE WORKERS WERE CONTINUOUSLY D EMANDING HIGHER WAGES, BONUS, LEAVE PAY, ETC. WHICH THE ASSESSEE FIRM WAS NOT WILLING TO GIVE AND ULTIMATELY AT THE END OF THE YEAR, IT WAS DIFFICULT TO CONTINUING THE MANUFACTURING ACTIVITY WITH THE HELP OF THEIR OWN L ABOUR AND HENCE THEY DISCONTINUED THE PRODUCTION IN THEIR FACTORY AND FR OM THE ASSESSMENT YEAR 2009-10 ONWARDS , THE ASSESSEE GOT THE MANUFACTURIN G DONE THROUGH OUTSIDE JOB WORK PARTIES. WITH RESPECT TO THE INCREASE IN T HE PERCENTAGE OF LABOUR AS COMPARED TO LAST YEAR, THE ASSESSEE SUBMITTED THAT THERE WERE 350 QUALITIES OF ROUGH DIAMONDS OF DIFFERENT RATES AND IN THE PRECED ING ASSESSMENT YEAR 2007-08 THE ASSESSEE HAD BOUGHT ROUGH DIAMONDS OF H IGH VALUE AND HIGH QUALITY OF AVERAGE PRICE RS.25,537/- PER CARAT WHER EAS IN THE ASSESSMENT YEAR 2008-09, THE ASSESSEE BOUGHT ROUGH DIAMONDS, THE AV ERAGE PRICE WAS RS.17,165/- PER CARAT. THE AVERAGE SALE PRICE IN TH E ASSESSMENT YEAR 2007-08 WAS RS.68,241/- PER CARAT WHEREAS THE AVERAGE SALE PRICE IN THE ASSESSMENT YEAR 2008-09 WAS RS.47,4L5/- PER CARAT AND HENCE TH E YIELD OF FINISHED ITA 1207 /MUM/2012 11 PRODUCT DUE TO INFERIOR QUALITY OF ROUGH DIAMOND MA NUFACTURING HAS GONE DOWN FROM 43.32% TO 41.60%. THE LABOUR CHARGES IN T HE ASSESSMENT YEAR 2008-09 WAS VERY HIGH AS THE ROUGH DIAMONDS WHICH T HEY HAD PURCHASED WERE INVOLVED IN MULTI-CLEAVING PROCESS DUE TO INFE RIOR QUALITY OF ROUGH DIAMONDS. THE ASSESSEE HAD ENGAGED MORE LABOUR FOR CLEAVING OF ROUGH DIAMONDS DUE TO WHICH THE LABOUR CHARGES WERE HIGH. IT WAS ALSO SUBMITTED THAT DUE TO MULTI- CLEAVING PROCESS, THE YIELD OF T HE ROUGH DIAMOND HAD ALSO GONE DOWN. THE ASSESSEE HAD MADE EACH AND EVERY PAY MENT OF LABOUR CHARGES AND WAGES BY ACCOUNT PAYEE CHEQUES ONLY. THE LD. CIT(A) CONSIDERED THE SUBMISSIONS OF THE AS SESSEE AND OBSERVED THAT THERE WAS A SLIGHT FALL IN GP RATIO IN THE ASSESSME NT YEARS 2006-07 TO 2008-09 WHICH IS EVIDENT FROM THE FOLLOWING TABLE:- A.Y. SALES (IN RS.) GROSS PROFIT(IN RS) G.P. % 2008-09 81,60,68,947/- 5,65,87,574/- 6.93 2007-08 65,91,11,112/- 5,13,28,051/- 7.79 2006-07 38,31,22,862/- 3,09,81,525/- 8.09 IT WAS OBSERVED THAT THE TURNOVER OF THE ASSESSEE F IRM HAD GONE UP ABOUT 25% DURING THE YEAR AND HENCE THERE WAS SLIGHT FALL IN GROSS PROFIT MARGIN RATIO. THE LD. CIT(A) OBSERVED THAT DUE TO THE PECULIARITY OF DIAMOND TRADE, THE STOCKS ARE ALWAYS ASSORTED AND RE-ASSORTED DEPENDIN G UPON THE REQUIREMENT FROM TIME TO TIME, THEREFORE, IT WAS NOT POSSIBLE T O MAINTAIN THE STOCK REGISTERS WITH RESPECT TO QUALITY OF STOCKS AND IT IS A TRADE PRACTICE FOLLOWED IN THIS INDUSTRY. THE LD. CIT(A) OBSERVED THAT WHAT IS TO BE LOOKED INTO IS WHETHER THE ASSESSEE HAS BEEN FOLLOWING A CONSISTENT METHOD OF VALUATION OF STOCKS AND WHETHER SUCH METHOD IS SCIENTIFIC AND IT IS POS SIBLE TO VERIFY THE RESULTS BY EXAMINING THE DETAILS IN THE LIGHT OF THE METHOD FOLLOWED BY THE ASSESSEE. IT WAS OBSERVED THAT THE ROUGH DIAMONDS PURCHASED DURI NG THE YEAR HAVE BEEN ITA 1207 /MUM/2012 12 PUT TO MANUFACTURE AND THE CLOSING STOCK IS NIL. AS REGARDS THE POLISHED DIAMONDS MANUFACTURED DURING THE YEAR, THE ASSESSEE SUBMITTED THAT THE VALUE IS ARRIVED BY CONSIDERING THE COST + LABOUR INVOLVED THEREIN AND THE CLOSING STOCK THEREOF IS VALUED AT COST OR REALIZAB LE VALUE WHICHEVER IS LOWER. THE AO HAS NOT POINTED OUT ANY DEFECT IN RESPECT OF COST INCURRED BY THE ASSESSEE IN THIS REGARD. WITH REGARD TO THE REALIZA BLE VALUE, THE ASSESSEE HAS EXPLAINED THE REASONABLENESS OF THE SAME HAVING REG ARD TO THE VALUE OF EXPORTS MADE IN THE SUBSEQUENT YEAR OUT OF THE CLOS ING STOCK HELD BY HIM AS ON 31 ST MARCH, 2008. THUS, THE CONTENTION OF THE A.O. THAT THE VALUATION OF OPENING STOCK, MANUFACTURED STOCK AND CLOSING STOCK IS NOT OPEN TO VERIFICATION DOES NOT APPEAR TO BE CORRECT WAS THE OBSERVATION OF LEARNED CIT(A). IT WAS ALSO OBSERVED BY THE LEARNED CIT(A) THAT THE ASSESSEE ENTERED INTO LOCAL MARKET FOR THE FIRST TIME UNLIKE THE EAR LIER YEARS IN WHICH HE WAS EXCLUSIVELY ENGAGED IN EXPORTS. DUE TO RECESSION IN THE EXPORT MARKETS, THE ASSESSEE HAS TO CHANGE HIS STRATEGY THAT HE HAS NOT ONLY ENTERED INTO LOCAL MARKET, BUT ALSO INTO THE LOW VALUE PRODUCTS. THUS, THE ASSESSEE INVOLVED IN ACHIEVING HIGHER TURNOVER WITH A LOWER MARGIN OF PR OFIT AND THIS RESULTED IN A SLIGHT FALL IN THE GP COMPARED TO THE EARLIER YEARS BUT AN INCREASE IN THE NET PROFIT RATE DUE TO SAVING ON THE ADMINISTRATIVE COS TS ETC. . THE ASSESSEE DULY EXPLAINED THE INFERIOR QUALITY/LOW VALUE ROUGH DIAM ONDS USED IN THE MANUFACTURING BUT THE A.O. HAS NOT CONSIDERED THE A FORESAID INFORMATION ARRIVING AT CORRECTNESS OR OTHERWISE OF THE REASONS FOR FALL IN GP DURING THE YEAR. THE A.O. HAS NOT POINTED OUT ANY DEFECT IN RE SPECT OF THE PURCHASES AND SALES OF DIAMONDS NOR BROUGHT ANY INSTANCE ON RECOR D TO SHOW THAT THE ASSESSEE HAS INDULGED IN SALES OUTSIDE THE BOOKS OF ACCOUNT. THOUGH THE BOOKS OF ACCOUNTS ARE REJECTED, THE A.O. HAS NO REA SON TO ESTIMATE THE SALES AT A FIGURE HIGHER THAN THE REPORTED SALES WHICH WE RE AUDITED. THUS, THE LD. CIT(A) REJECTED THE A.O.S ACTION IN ESTIMATING HIG HER SALES VIDE APPELLATE ORDERS DATED 16.12.2011. ITA 1207 /MUM/2012 13 WITH REGARD TO THE FALL IN G.P. RATE, THE LD. CIT(A ) OBSERVED THAT THE LABOUR COST INCURRED BY THE ASSESSEE IN MANUFACTURING OF P OLISHED DIAMONDS HAVE TREMENDOUSLY INCREASED DURING THE YEAR. THE ASSESSE E WAS INVOLVED IN PURCHASE AND SALE OF POLISHED DIAMONDS DURING THE A SSESSMENT YEARS 2008- 09 TO 2011-12 UNLIKE IN THE EARLIER YEARS WHERE THE ENTIRE SALES WERE OUT OF POLISHED DIAMONDS MANUFACTURED BY THE ASSESSEE. THE LOCAL PURCHASES AND THE CORRESPONDING LOCAL SALES DO NOT INVOLVE ANY LA BOUR COST IN RESPECT OF MANUFACTURING, HENCE, THE ASSESSEES EXPLANATION AS TO LABOUR CHARGES RATIO TO TURNOVER IS MISLEADING AND NOT RELIABLE. AGAIN I T WAS OBSERVED THAT THE ASSESSEES SUBMISSION THAT THE INFERIOR QUALITY ROU GH DIAMONDS INVOLVE MULTI CLEAVING PROCESS RESULTING IN HIGHER LABOUR COST IS ENTIRELY NOT CORRECT. IT WAS ALSO OBSERVED THAT FROM THE INVOICES FOR LABOUR CHA RGES FOR JOB WORK PLACED ON RECORD, THE SAME WERE CHARGED PER CARAT OF ROUGH DI AMONDS WORKED UPON UNIFORMLY @ RS.500/- PER CARAT IRRESPECTIVE OF THE QUALITY OF THE ROUGH DIAMONDS INVOLVED. AS COMPARED TO THE LABOUR CHARGE S PAID AT RS.108/- PER CARAT FOR PRODUCTION THROUGH JOB WORK DURING THE EA RLIER YEAR, THE CHARGES WERE AT RS.500/-- PER CARAT DURING THE YEAR UNDER C ONSIDERATION. AS AGAINST THIS, THE WAGES PAID IN THE ASSESSEES OWN FACTORY DURING THE YEAR WORKS OUT TO RS.172/- PER CARAT OF ROUGH DIAMONDS I.E. RS. 36 ,66,550/- / 21310 CARATS OF ROUGH DIAMONDS CONSUMED. THE LD. CIT(A) OBSERVED THAT THERE WAS NO UNIFORMITY IN RESPECT OF LABOUR CHARGES INCURRED FO R THE OWN PRODUCTION VIS-A- VIS JOB WORK. SIMILARLY THERE WAS ALSO NO PROPER EX PLANATION FOR ABNORMAL INCREASE IN PER CARAT RATE OF JOB WORK CHARGES PAID DURING THE YEAR COMPARED TO THE EARLIER YEAR. THE ASSESSEES CONTENTION THAT HE HAS WORKED UPON INFERIOR QUALITY OF ROUGH DIAMONDS MAY EXPLAIN PART OF THE INCREASE IN THE LABOUR CHARGES INCURRED DURING THE YEAR BUT IT MAY NOT BE A COMPLETE EXPLANATION BY ITSELF. THUS, IT WAS OBSERVED THAT T HERE IS NO VERIFIABLE INFORMATION AS TO THE QUALITY OF THE ROUGH DIAMONDS THAT WAS WORKED UPON THROUGH JOB WORKERS AND HENCE, THE FALL IN THE GROS S PROFIT RATE IS NOT FULLY EXPLAINED. THE LD. CIT(A) ACCORDINGLY ESTIMATED THE GP AT 7% INSTEAD OF 6.93% ITA 1207 /MUM/2012 14 REPORTED BY THE ASSESSEE ON THE TURNOVER SHOWN IN T HE BOOKS AND ADDITION OF RS. 5,37,250/- WAS UPHELD VIDE APPELLATE ORDER DATE D 16/12/2011 PASSED BY LEARNED CIT(A). 6. AGGRIEVED BY THE APPELLATE ORDER DATED 16/12/201 1 PASSED BY THE LD. CIT(A), THE ASSESSEE IS IN APPEAL BEFORE THE TRIBUN AL. 7. THE LD. COUNSEL FOR THE ASSESSEE SUBMITTED THAT THE ASSESSEE HAD A GP RATIO OF 6.93% DURING THE ASSESSMENT YEAR 2008-09 A S AGAINST 7.79% IN THE PRECEDING YEAR. THE LD. COUNSEL SUBMITTED THAT BOO KS OF ACCOUNT WERE REJECTED BY THE A.O. ON THE GROUND THAT CLOSING STO CK IS NOT VERIFIABLE DUE TO DETAILS OF RECEIVED MANUFACTURED POLISHED DIAMONDS ARE NOT EVIDENT AND THE CLOSING STOCK IS NOT VERIFIABLE AS TO COLOR, SIZE E TC.. THE LD. CIT(A) ESTIMATED THE GP RATIO AT 7% INSTEAD OF 6.93% DECLARED BY THE ASS ESSEE AND UPHELD THE SAME WHICH LED TO THE ADDITION OF RS. 5,37,250/- AS AGAINST THE ADDITION OF RS. 83,43,116/- MADE BY THE A.O. BY APPLYING THE GP RATIO AT 7.79%. IT WAS SUBMITTED THAT LEARNED CIT(A) ARRIVED AT FINDING TH AT IT IS NOT POSSIBLE TO ARRANGE CLOSING STOCK AS PER COLOR , SIZE ETC DUE T O TRADE PRACTICE. THE LD. COUNSEL SUBMITTED THAT THE LABOUR EXPENSES ARE VERY HIGH AS COMPARED TO THE LAST YEAR DUE TO OWN LABOUR DEPLOYED WHEREBY LOT OF ADDED BENEFITS SUCH AS PF/ESIC ETC ARE TO BE GIVEN. THE ASSESSEE HAS SET UP FACTORY WHERE THERE WAS A LABOUR PROBLEM ALSO WHICH LED TO HIGHER WAGES. T HE LD. COUNSEL DREW OUR ATTENTION TO THE ORDER OF THE LD. CIT(A) AND SUBMIT TED THAT THE LD. CIT(A) CAME TO THE CONCLUSION THAT THE LABOUR CHARGES PAID AT A HIGHER RATE I.E. RS. 500/- PER CARAT DURING THE YEAR UNDER CONSIDERATION WHERE AS THE ASSESSEE HAD PAID RS. 108/- PER CARAT IN THE EARLIER YEARS. THE LD. C OUNSEL SUBMITTED THAT THE LABOUR BILLS ARE PLACED AT PAPER BOOK PAGE 28 TO 56 AND THESE PAYMENTS ARE MADE TO JOB WORKERS AND DUE TDS IS DEDUCTED AND PRA YED THAT THE ADDITIONS SUSTAINED BY LEARNED CIT(A) BE DELETED. ITA 1207 /MUM/2012 15 8. THE LD. D.R. SUBMITTED THAT THE LD. CIT(A) HAS A LSO UPHELD THE REJECTION OF BOOKS OF ACCOUNT AND GP RATIO ESTIMATED AT THE R ATE OF 7% AGAINST WHICH THE REVENUE IS NOT IN APPEAL WITH RESPECT TO THE RE LIEF GRANTED TO THE ASSESSEE. 9. WE HAVE CONSIDERED THE RIVAL CONTENTIONS AND ALS O PERUSED THE MATERIAL PLACED ON RECORD. WE HAVE OBSERVED THAT THE ASSESS EE IS ENGAGED IN THE BUSINESS OF DIAMONDS WHEREBY THE ASSESSEE IS PURCHA SING ROUGH DIAMONDS WHICH IS BEING CUT AND POLISHED. THE ASSESSEE WAS EARLIER ENGAGED IN THE BUSINESS OF DIAMONDS EXPORT WHEREBY THE ENTIRE CUT AND POLISHED DIAMONDS WERE EXPORTED. IN THE IMPUGNED ASSESSMENT YEAR, THE ASSESSEE HAS ALSO ENTERED INTO MANUFACTURING BY SETTING UP HIS OWN FA CTORY WHEREBY THE ASSESSEE IS ALSO ENGAGED IN DEALING BY SELLING IN L OCAL MARKET. DUE TO THE SETTING UP OF ITS OWN FACTORY, HIGHER WAGES INCLUDI NG LABOUR WELFARE COSTS SUCH AS PF/ESI ETC IS STATED TO HAVE BEEN PAID TO T HE WORKERS AND ULTIMATELY IT IS STATED THAT ASSESSEE CLOSED THE FACTORY IN TH E SUBSEQUENT YEAR AS THE ASSESSEE IS NOT ABLE TO RUN THE FACTORY DUE TO LABO UR PROBLEM. IT IS ALSO OBSERVED THAT THE ASSESSEE HAS PAID SUBSTANTIALLY H IGHER RATE OF JOB WORK CHARGES I.E. @ RS. 500/- PEER CARAT AS AGAINST THE RATE OF RS. 108/- PER CARAT IN THE PRECEDING YEAR. THE INVOICES ARE PLACED IN PAPER BOOK FILED WITH THE TRIBUNAL AT PAGE 28-56. WE HAVE OBSERVED THAT THE A SSESSEE IS NOT ABLE TO JUSTIFY THE SUBSTANTIAL RISE IN THE PAYMENT OF JOB WORK CHARGES TO THE WORKERS I.E. @ RS. 500/- PER CARAT AS AGAINST RS. 108/- PER CARAT IN PRECEDING YEAR. THE LABOUR CHARGES HAVE SUBSTANTIALLY GONE UP AS CO MPARED TO THE PRECEDING YEAR WHICH IS ALMOST 400% WITHOUT ANY JUSTIFICATION . IT WAS OBSERVED THAT TDS HAS BEEN DEDUCTED BUT THE ASSESSEE HAS TO EXPLA IN THE ABNORMAL RISE IN THE JOB WORK CHARGES PER CARAT WITH COGENT REASONS. NO COGENT EXPLANATION HAS BEEN BROUGHT ON RECORD BY THE ASSESSEE TO SUBST ANTIATE THIS SUBSTANTIAL RISE IN THE JOB WORK CHARGES. IT IS STATED BEFORE US BY THE LD DR. THAT THE REVENUE IS NOT IN APPEAL AGAINST THE ORDER OF THE L D. CIT(A) WHICH ORDER OF LD. CIT(A) HAS BEEN ACCEPTED BY THE REVENUE. IN OUR CO NSIDERED VIEW, THE LD. ITA 1207 /MUM/2012 16 CIT(A) HAS TAKEN THE GP RATIO @ 7% AS AGAINST 6.93% WHICH IN OUR CONSIDERED VIEW IS QUITE JUSTIFIED AND FAIR KEEPING IN VIEW F ACTUAL MATRIX OF THE CASE. WE DO NOT FIND ANY INFIRMITY IN THE ORDER OF THE LD. C IT(A). THE A.O. ADOPTED THE GP RATE @ 7.79% WHEREAS THE ASSESSEE HAS DECLARED G P RATE @ 6.93%. THE LD. CIT(A) ESTIMATED THE GP RATE @ 7% KEEPING IN VI EW THE PECULIAR FACTS AND CIRCUMSTANCES OF THE ASSESSEES CASE. IN OUR CONSI DERED VIEW, THE VIEW TAKEN BY THE LD. CIT(A) IS QUITE REASONABLE AND FAIR CONS IDERING THE PECULIAR FACTS AND CIRCUMSTANCES OF THE CASE. WE, THUS UPHOLD / S USTAIN THE ORDER OF THE LD. CIT(A) IN WHICH WE DO NOT FIND ANY INFIRMITY. WE O RDER ACCORDINGLY. 10. IN THE RESULT, APPEAL FILED BY THE ASSESSEE FIR M IN ITA NO. 1207/MUM/2012 FOR THE ASSESSMENT YEAR 2008-09 IS DI SMISSED. ORDER PRONOUNCED IN THE OPEN COURT ON 7 TH SEPTEMBER, 2016. # $% &' 07-09-2016 ( ) SD/- SD/- (MAHAVIR SINGH) (RAMIT KOCHAR) JUDICIAL MEMBER ACCOUNTANT MEMBER $ MUMBAI ; & DATED 07-09-2016 [ .9../ R.K. R.K. R.K. R.K. , EX. SR. PS !'#$%&%# / COPY OF THE ORDER FORWARDED TO : 1. / THE APPELLANT 2. / THE RESPONDENT. 3. : ( ) / THE CIT(A)- CONCERNED, MUMBAI 4. : / CIT- CONCERNED, MUMBAI 5. =>( 99?@ , ?@ , $ / DR, ITAT, MUMBAI A BENCH 6. (BC D / GUARD FILE. / BY ORDER, = 9 //TRUE COPY// / ( DY./ASSTT. REGISTRAR) , $ / ITAT, MUMBAI