IN THE INCOME TAX APPELLATE TRIBUNAL COCHIN BENCH, COCHIN BEFORE SHRI CHANDRA POOJAR I, AM & SHRI GEORGE GEORGE K, JM ITA NO. 227 / COCH/201 8 : ASST.YEAR 201 1 - 201 2 THE ASST.COMMISSIONER OF INCOME - TAX, CIRCLE 1 KOLLAM. VS. M/S.BABY MARINE INTERNATIONAL, KALLUVILA THANGASSERY, KOLLAM PAN : AAAFB9937F. (APPELLANT) (RESPONDENT) APPELLANT BY : SRI.SHANTHOM BOSE RESPONDENT BY : SRI.IYPE MATHEW DATE OF HEARING : 0 7 . 11 .2019 DATE OF PRONOUNCEMENT : 20 .11 .2019 O R D E R PER CHANDRA POOJARI, AM : THIS APPEAL BY THE REVENUE IS DIRECTED AGAINST THE ORDER OF THE CIT(A) DATED 15.03.2018 FOR THE ASSESSMENT YEAR 2011 - 201 2 . 2. THE GROUNDS RAISED BY THE REVENUE READ AS UNDER: - 1. THE ORDER OF THE COMMISSIONER OF INCOME TAX I (APPEALS), THIRUVANANTHAPURAM IS OPPOSED TO LAW ON THE FACTS AND CIRCUMSTANCES OF THE CASE. 2. THE LEARNED COMMISSIONER OF INCOME TAX (APPEALS), TRIVANDRUM ERRED IN CONCLUDING THAT 'QUANTITATIVE DETAILS OF CL OSING STOCK AS MENTIONED IN FORM 3CD OF THE AUDIT REPORT NEED NOT BE RELIED UPON ................................ ................................ ........... 3. T HE BASIS OF ADDITION OF RS.13,47,71,926/ - IS THE CLOSING STOCK VALUE OF 775398 KG OF SHRIMP STATED IN SCHEDULE 28B - B OF FORM NO. 3CD. IN PARA 10.3, THE CIT(A) STATE D THAT 'THE QUANTITATIVE DETAILS OF THE CLOSING STOCK AS MENTIONED IN FORM 3CD OF THE AUDIT ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 2 REPORT NEED NOT BE RELIED UPON SINCE A MISTAKE HAD CREPT INADVERTENTLY AS A RESULT OF WHICH THE SAME HAS WRONGLY BEEN MENTIONED AS 7,75,398 KG INSTEAD OF 90,620 KG. IN THIS CONNECTION, THE CIT(A) OUGHT TO HAVE NOTICED THE SCOPE AND EFFECT OF THE PROVISIONS OF SECTION 44AB OF THE INCOME TAX ACT 1961, AT THE TIME OF INSERTION OF THIS SECTION, WHICH IS EXPLAINED BY THE BOARD IN THE CIRCULAR NO.387 DATED 06.07.1984: '17.2. A PROPER AUDIT FOR TAX PURPOSES WOULD ENSURE THAT THE BOOKS OF ACCOUNTS AND OTHER RECORDS ARE PROPERLY MAINTAINED, THAT THEY FAITHFULLY REFLECT THE INCOME OF THE TAX PAYER AND CLAIMS FOR DEDUCTION ARE CORRECTLY MADE BY HIM. SUCH AUDIT WOULD ALSO HEL P IN CHECKING FRAUDULENT PRACTICES. IT CAN ALSO FACILITATE THE ADMINISTRATION OF TAX LAWS BY A PROPER PRESENTATION OF THE ACCOUNTS BEFORE THE TAX AUTHORITIES AND CONSIDERABLY SAVING THE TIME OF ASSESSING OFFICERS IN CARRYING OUT ROUTINE VERIFICATIONS, LIK E CHECKING CORRECTNESS OF TOTALS AND VERIFYING WHETHER PURCHASES AND SALES ARE PROPERLY VOUCHED OR NOT. THE TIME OF THE ASSESSING OFFICERS THUS SAVED COULD BE UTILIZED FOR ATTENDING MORE IMPORTANT INVESTIGATIONAL ASPECTS OF A CASE.' FROM THIS IT IS APPAR ENT THAT THE OBJECTIVE OF MAKING THE TAX AUDIT COMPULSORILY WAS TO HELP THE ASSESSING OFFICER IN CHECKING FRAUDULENT PRACTICES. THE AO, THEREFORE, HAS TO RELY ON THE FIGURES SUBMITTED ALONG WITH THE RETURN OF INCOME AND CERTIFIED BY THE CHARTERED ACCOUNTA NT AS DEFINED U/ S 288(2) OF THE ACT. 2. THE CIT(A) OUGHT TO HAVE HELD THAT THE CHARTERED ACCOUNTANT IS BOUND TO LOOK IN TO FIGURES AND CERTIFY THE CORRECTNESS THEREOF, WHEN THE LEGISLATURE DESIRES THE CHARTERED ACCOUNTANT TO CERTIFY THE FIGURES AS TRUE A ND CORRECT. 3. THE CIT(A) OUGHT TO HAVE NOTICED THAT THE ASSESSEE DID NOT FILE ANY REVISED RETURN WITH REVISED AUDITOR'S REPORT TO RECTIFY MISTAKES WITHIN THE TIME LIMIT PRESCRIBED AS PER THE ACT. ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 3 4. THE CIT(A) OUGHT TO HAVE NOTICED THAT THE LETTER FRO M ASSESSEE AND AUDITOR WERE RECEIVED ONLY IN JULY 2014, THAT IS, AFTER RECEIVING THE COMMUNICATIONS FROM THE AO REGARDING THE VALUATION OF CLOSING STOCK. THIS WAS MADE AFTER A LAPSE OF ALMOST 2YRS, BY THE TIME WHICH THE AUDIT OF NEXT ASSESSMENT YEAR WAS O VER. TILL THEN THE ASSESSEE DID NOT FILE ANY COMMUNICATION TO THE AO THAT SUCH A MISTAKE WAS CREPT IN ITS ACCOUNTS. 5. THE CIT(A) AT PARA 10A OF THE ORDER STATED THAT '................. THE UNDERVALUATION INVOLVED IS RS.173.81/ - PER KG IS ALSO FACTUALLY INCORRECT SINCE THE ASSESSEE HAS ADOPTED THE VALUE OF RS.275.39/ - PER KG WHICH IS MORE THAN RS.206/ - PER KG CONSI DERED BY THE ASSESSING OFFICER '. THIS IS T OTALLY AGAINST THE FACTS OF THE CASE. THE CIT(A) OUGHT TO HAVE NOTICED THAT AS PER ANNEXURE B SUBM ITTED BY THE APPELLANT ALONG WITH THE RETURN OF INCOME, THE VALUE ADOPTED BY THE ASSESSEE FOR THE CLOSING STOCK OF SHRIMP IS ONLY RS. 32.19/ KG. (RS.2,49,56,300 / 7,75,398 KG) CONSIDERING THE FACTS, THE ACCOUNTS PRODUCED BY THE APPELLANT BEFORE THE CIT(A) CANNOT BE RELIED UPON AND THE AO HAD RIGHTLY RELIED ON AUDITORS REPORT. 6. THE CIT(A) OUGHT TO HAVE VERIFIED THE LEDGER FOR PURCHASE OF RAW MATERIAL, LEDGER FOR SALES AND PERCENTAGE OF YIELD AS THE QUANTITATIVE FIGURES FOR PURCHASE AND SALE AND PERCENTAGE OF YIELD VARY IN THE ORIGINAL AND REVISED AUDITOR'S REPORT. 7. THE CIT(A) OUGHT TO HAVE NOTICED THAT IN THE REVISED REPORT FILED BEFORE HIM, THE ASSESSEE SUPPRESSED THE QUANTITY OF SHRIMP PURCHASED, BY 3,69,516 KG (1459106 - 1089590) AND INFLATED THE QUANTITY OF SHRIMP SOLD, BY 4,84,481 KG (859705 - 375224) WITHOUT CHANGING THE PU RCHASE AND SALE VALUES IN THE P&L ACCOUNT. THIS OUGHT TO HAVE BEEN TAKEN AS A WILFUL ATTEMPT TO SUPPRESS THE QUANTITY OF SHRIMP AT THE CLOSING STOCK. 8. FOR THESE AND OTHER GROUNDS THAT MAY BE ADVANCED AT THE TIME OF HEARING THE ORDER OF THE ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 4 LEARNED CO MMISSIONER OF INCOME TAX (APPEALS), THIRUVANANTHAPURAM ON THE ABOVE POINTS MAY BE SET ASIDE AND THAT OF THE ASSESSING OFFICER RESTORED. 3. BRIEFLY STATED THE FACTS OF THE CASE ARE AS UNDER: - 3.1 IT ALL STARTED WITH REOPENING THE ASSESSMENT U/S 148 WHICH IN TURN HAS RESULTED IN MAKING AN ADDITION OF RS .13,47,71,926/ - ON ACCOUNT OF UNDER VALUATION OF CLOSING STOCK. THE ASSESSMENT GOT REOPENED BASED ON THE OBSERVATION THAT THE CLOSING STOCK AS PER TH E AUDIT REPORT IS 7,75,398 KG AND ITS VALUE WAS TAKEN AT RS.2,49,56,300/ - . THE ASSESSEE HAD VALUED THE SAME AT RS.32.19 PER KG WHICH IS VERY MUCH ON THE LOWER SIDE. AS PER THE METHOD OF VALUATION REGULARLY FOLLOWED BY THE ASSESSEE, THE CLOSING STOCK SHOULD HAVE BEEN VALUED ATLEAST AT RS.206/ - PER KG. INSTEAD, THE STOCK WAS VALUED AT RS.32.19/ - P ER KG LEAVING A DIFFERENCE OF RS .173.81/ - PER KG WHICH IN TURN HAD RESULTED IN UNDER VALUATION OF CLOSING STOCK TO THE TUNE OF RS .13,47,71,926/ - . CONTRADICTING THE ASSESSING OFFICER, THE CASE OF THE ASSESSEE IS THAT THE DIFFERENT QUANTITY OF 7,75,398 SHOWN IN THE AUDIT REPORT IS AN OUTCOME OF TYPOGRAPHICAL ERROR COMMITTED BY THE STAFF OF THEIR AUDITOR. THE INEXPERIENCE OF THE STAFF OF THE ASSESSEE'S AUDITOR LED TO FU RNISHING INACCURATE QUANTITATIVE PARTICULARS AS SHOWN IN THE RETURN OF INCOME AND AUDIT REPORT. ACCORDING TO THEM, THE QUANTITATIVE DETAILS OF THE CLOSING STOCK AS MENTIONED IN FORM 3CD OF THE AUDIT REPORT NEED NOT BE RELIED UPON SINCE A MISTAKE HAD CREPT INADVERTENTLY AS A RESULT OF WHICH THE SAME HAS WRONGLY BEEN MENTIONED AS 7,75,398 KG INSTEAD OF 90,620 KG. THE INFLATION IN THE CLOSING STOCK AS 7,75,398 KG INSTEAD OF 90,620 KG HAD ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 5 OCCURRED DUE TO MISTAKE IN THE FIGURES OF PRODUCTION WHICH WAS MENTIONE D AS 13,14,811 KG AND EXPORT SALES AS 7,27,025 KG INSTEAD OF THE ACTUAL PRODUCTION OF 11,14,514 KG AND EXPORT SALES OF 12,11,506 KG. IF THE ACTUAL PRODUCTION QUANTITY WAS ADDED TO THE OPENING STOCK 1,87, 612 KG , THE RESULTANT FIGURE WOULD HAVE BEEN TO 13,0 2,126 KG AND WHEN THE EXPORT SALES OF 12,11,506 KG WAS DEDUCTED THEREFROM THEN, THE CORRECT CLOSING STOCK WOULD HAVE BEEN 90,620 KG ONLY BUT NOT 7,75,398 KG AS MISTAKENLY MENTIONED IN THE AUDIT REPORT. THE QUANTITATIVE DETAILS OF OPENING STOCK, SALES AND C LOSING STOCK FILED TO THE ASSESSING OFFICERS DURING THE COURSE OF ORIGINAL AND REASSESSMENT PROCEEDING AS CLAIMED BY THE ASSESSEE, HAS ALSO BEEN FILED DURING THE COURSE OF APPEAL HEARING AS WELL WHICH IN TURN CONFIRMS THE FACT OF CLOSING STOCK OF 90,620 KG AS UNDER: - QUANTITY IN KGS. SHRIMPS (KG.) SQUID (KG.) CUTTLEFISH (KG) FISH (KG) TOTAL (KG.) RAW MATERIALS OPENING STOCK PURCHASES CONSUMPTION SALES CLOSING STOCK YIELD OF FINISHED P R ODUCTS PERCENTAGE OF YIELD FINISHED PRODUCTS OPENING STOCK PUD 8100 TIGER 106612 PURCHASES QUANTITY MANUFACTURED DURING THE YEAR 1089590.000 70% 187612.000 762713.000 262863.000 72% NIL 189261.000 16666.670 72% NIL 12000.000 155195.880 97% NIL 150540.000 1524315.550 187612.000 1114514.000 ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 6 TOTAL SALES DURING THE YEAR CLOSING STOCK AT THE END OF THE YEAR PUD 56000 TIGER 34620 950325.000 859705.000 90620.000 189261.000 189261.000 NIL 12000.000 12000.000 NIL 150540.000 150540.000 NIL 1302126.000 1211506.000 90620.000 3 .2 THE ITEM WISE PRODUCTION AND SALES DETAILED FILED TO THE ASSESSING OFFICER DURING THE COURSE OF RE - ASSESSMENT PROCEEDING AS CLAIMED BY THE ASSESSEE, HAS ALSO BEEN FILED DURING THE COURSE OF APPEAL HEARING AS WELL WHICH IN TURN CONFIRMS THE FACT OF CLOSING STOCK OF 90,620 KG AS UNDER: - SHRIMP TOTAL 1) PUD OPENING STOCK (KG.) PRODUCTION SALES BALANCE (KG.) APRIL 2010 81000 108000 50000 139000 MAY 2010 139000 11880 15880 135000 JUNE 2010 135000 60120 24000 171120 JULY 2010 171120 2240 14240 159120 AUGUST 2010 159120 12000 6000 165120 SEPTEMBER 2010 165120 9915 15215 159820 OCTOBER 2010 159820 10700 37340 133180 NOVEMBER 2010 133180 3555 31055 105680 DECEMBER 2010 105680 1000 23000 83680 JANUARY 2011 83680 0 18500 65180 FEBRUARY 2011 65180 41500 42000 64680 MARCH 2011 64680 83660 92340 56000 344570 369570 SHRIMP TOTAL 2) TIGER H/O OPENING STOCK (KG.) PRODUCTION SALES BALANCE (KG.) APRIL 2010 106612 19515 9000 117127 MAY 2010 117127 10000 35928 91199 ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 7 JUNE 2010 91199 32335 27500 96034 JULY 2010 96034 18378 30400 84012 AUGUST 2010 84012 73261 24542 132731 SEPTEMBER 2010 132731 37200 32750 137181 OCTOBER 2010 137181 1612 20400 118393 NOVEMBER 2010 118393 0 21600 96793 DECEMBER 2010 96793 8188 14188 90793 JANUARY 2011 90793 17237.6 17000 91030.6 FEBRUARY 2011 91030.6 18589 18000 91619.6 MARCH 2011 91619.6 4300 61300 34620 240616 312608 3. 3. THE CRUX OF THE ISSUE TO BE ANSWERED IN THE BACKGROUND OF FOREGOING IS WHETHER THE ASSESSEE HAS HAD 7,75,398 KG OF SHRIMPS AS CLOS ING STOCK AT THE END OF THE YEAR UNDER CONSIDERATION OR NOT. AS LONG AS THE OPENING STOCK (187612.000 KG), PURCHASES OF RAW SHRIMPS (1089590.000 KG), PROCESSING & PRODUCTION (762713.000 KG) AND EXPORT SALES (859705.000 KG) QUANTITY AS MENTIONED IN THE 1ST CHART OF THIS ORDER ARE NOT IN DISPUTE THEN, THERE WON'T BE 7,75,398 KG OF CLOSING STOCK OF SHRIMPS THE ASSESSEE CAN HAV E. THE ASSESSING OFFICER HAS NOT ALL DISPUTED THE OPENING STOCK, PURCHASES OF RAW SHRIMPS, PRODUCTION AND EXPORT SALES BUT SIMPLY DISPUTED THE CLOSING STOCK BECAUSE IN FORM 3CD REPORT DIFFERENT QUANTITY OF CLOSING STOCK HAS REPORTEDLY BEE N MENTIONED AS HELD BY THE ASSESSEE. WITHOUT DISPUTING THE OPENING STOC K, PURCHASES OF RAW SHRIMPS, PRODUCTION AND EXPORT SALES, THE ASSESSING OFFIC ER CANNOT SAY THAT THE ASSESSEE HAS HAD 7,75,398 KG OF CLOSING STOCK OF SHRIMPS. THE ASSESSEE CAN HAVE CLOSING STOCK OF 7, 75,398 KG SHRIMPS ONLY IN THE EVENT OF PURCHASING ADDITIONALLY 11,07,711 KG RAW SHRIMPS WITH OUT WHICH NO SUCH CLOSING STOCK IS POSSIBLE. ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 8 ONLY WHEN ASSESSEE PURCHASES 21,97,301 KG OF RAW SHRIM PS (10,89,590 KG ACTUALLY PURCHASED + 11,07,711 KG EQUIVALENT T O 7,75,398 KG OF CLOSING STOCK TO BE PURCHASED), THEY CAN HAVE CLOSING STOCK OF 7,75,398 KG. IN THE ABSENCE OF NO SUCH ADDITIONAL PURCHASES EVER BEEN MADE BY THE ASSESSEE, NO AD DITIONAL INCOME TO THE TUNE OF RS.13,47,71,926 TOWARDS SUPPRESSED CLOSING STOC K COULD BE BROUGHT TO TAX. IT IS NOT THE CASE OF THE ASSESSING OFFICER THAT THE ASSESSEE REALLY HAD PURCHASED DURING THE YEAR UNDER CONSIDERATION RAW SHRIMPS OF 21,97,301 KG. IT IS ALSO NOT THE CASE OF THE ASSESSING OFFICER THAT THE QUANTITY CONSIDERED FO R OPENING STOCK, PRODUCTION AND EXPORT SALES ARE IN DISPUTE AND NEVER BEEN TAKEN INTO ACCOUNT. EVEN FROM THE ITEM WISE PRODUCTION AND SALES DETAILS FILED DURING THE COURSE OF APPEAL HEARING AS MENTIONED IN THE ABOVE LAST TWO CHARTS, IT COULD BE MADE OUT T HAT NO ADDITIONAL QUANTITY OF RAW SHRIMPS HAD EVER BEEN PURCHASED BY THE ASSESSEE AND THEREFORE, NO P O SSIBILIT Y OF HAVING 7,75,398 KG OF CLOSING STOCK DURING THE YEAR UNDER CONSIDERATION COULD EVER BE THOUGHT OF. IN THE BACKGROUND OF FOREGOING, I AM ALSO CONVINCED WITH THE FIGURES OF PRODUCTION AND SALES FURNISHED ORIGINALLY WERE WRONG AND THE TOTAL PRODUCTION AND SALES AS PER THE COPIES OF THE REGISTERS AND DOCUMENTS FURNISHED FOR FURTHER CONSIDERATION DURING THE COURSE OF APPEAL HEARING LEAVES BEHIND ONL Y A CLOSING STOCK OF 90,620 KG AS ON 31.03.2011. WHEN THE PRODUCTION QUANTITY IS ADDED TO THE OPENING STOCK AND THE EXPORT SALES QUANTITY IS REDUCED THEREFROM THEN, THE RESULTANT QUANTITY IS 90,620 KG ONLY WHICH IS NOTHING BUT THE CLOSING STOCK AS ON 31.03 .2011 BUT NOT 7,75,398 KG AS CONSIDERED FOR MAKING THE ADDITION OF ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 9 RS.13,47,71,926/ - . ACCORDINGLY THE CIT(A) WAS OF THE OPINION THAT THE QUANTITATIVE DETAILS OF THE CLOSING STOCK AS MENTIONED IN FORM 3CD OF THE AUDIT REPORT NEED NOT BE RELIED UPON SINCE A MISTAKE HAD CREPT INADVERTENTLY AS A RESULT OF WHICH THE SAME HAS WRONGLY BEEN MENTIONED AS 7,75,398 KG INSTEAD OF 90,620 KG. HENCE, THE ADDITION MADE ON ACCOUNT OF DIFFERENCE IN CLOSING STOCK NEED BE DELETED SINCE THE SAME HAS NOT BEEN JUSTIFIED BY THE A SSESSING OFFICER. 3. 4 ANOTHER ARGUMENT OF THE ASSESSING OFFICER THAT THE ASSESSEE HAD VALUED THE CLOSING STOCK AT RS.32.19/ - PER KG WHICH IS VERY MUCH ON THE LOWER SIDE AND AS PER THE METHOD OF ACCOUNTING REGULARLY FOLLOWED BY THE ASSESSEE, THE CLOSING STOCK SHOULD HAVE BEEN VALUED ATLEAST AT RS.206/ - PER KG THEREFORE, THE UNDER VALUATION INVOLVED IS RS.173.81/ - PER KG, IS ALSO FACTUALLY INCORRECT SINCE THE ASSESSEE HAS ADOPTED THE VALUE OF RS.275.39/ - PER KG WHICH IS MORE THAN RS.206/ - PER KG C ONSIDERED BY THE ASSESSING OFFICER, FOR THE CLOSING STOCK OF 90,620 KG WHICH IN TURN HAS BEEN WORKED OUT AT RS.2,49,56,300/ - . EVEN ON THIS BASIS, NO ADDITIONAL INCOME COULD BE BROUGHT TO TAX. THIS APART, AS MENTIONED IN PARA 5 OF THE ASSESSMENT ORDER , THE THEN ASSESSING OFFICER GOT CONVINCED BOTH WITH THE CLOSING STOCK OF 90,620 KG AND ITS VALUE OF 2,49,56,300/ - BUT STILL WENT HEAD WITH MAKING THE ADDITION TOWARDS ALLEGED DIFFERENCE IN CLOSING STOCK NOT BECAUSE THERE IS A DISCREPANCY IN CLOSING STOCK BUT BECAUSE HE WAS UNABLE TO VERIFY THOROUGHLY ALL THE REGISTERS AND DOCUMENTS MAINTAINED BY THE ASSESSEE DUE TO PAUCITY OF TIME. IT COULD BE MADE OUT FROM THE ABOVE THAT NO ADDITION ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 10 WAS ACTUALLY WARRANTED BUT IT WAS MADE SINCE THE REGISTERS AND DOCUMENTS PRODUCED FOR VERIFICATION HAVE NOT BEEN VERIFIED YET. AS A RESULT, THE CIT(A) DELETED THE ADDITION MADE BY THE ASSESSING OFFICER OF RS.13,47,71,926/ - OVER THE ALLEGED UNDER VALUATION OF CLOSING STOCK. 4. AGGRIEVED BY THE ORDER OF THE CIT(A), THE REVENUE IS IN APPEAL BEFORE US. THE LEARNED DEPARTMENTAL REPRESENTATIVE SUPPORTED THE ORDER OF THE ASSESSING OFFICER. THE LEARNED COUNSEL FOR THE ASSESSEE, ON THE OTHER HAND, SUPPORTED THE ORDER OF THE CIT(A). 4.1 THE LEARNED AR FILED A QUANTITATIVE STATEMENT. TH E DETAILS OF WHICH ARE AS FOLLOW: - AS PER ORIGINAL QUANTITATIVE STATEMENT SHRIMPE (KG.) OTHER PRODUCTS (KG.) TOTAL QTY. (KG.) OPENING STOCK AS ON 01.04.2010 1,87,612 NIL 1,87,612 PRODUCTION DURING THE YEAR 2010 - 2011 (WRONGLY SHOWN) 9,63,010 3,51,801 13,14,811 11,50,622 3,51,801 15,02,423 LESS : EXPORT QTY WRONGLY SHOWN DURING 2010 - 11 (FY) ( - )3,75,224 ( - )3,51,801 ( - )7,27,025 CLOSING STOCK AS WRONGLY SHOWN ON 31.03.2011 7,75,398 NIL 7,75,398 AS PER REVISED QUANTITATIVE STATEMENT (ACTUAL QUANTITY) SHRIMPE (KG.) OTHER PRODUCTS (KG.) TOTAL QTY. (KG.) OPENING STOCK AS ON 01.04.2010 1,87,612 NIL 1,87,612 ACTUAL PRODUCTION DURING THE YEAR 2010 - 2011 7,62,713 3,51,80 11,14,514 9,50,325 3,51,801 13,02,126 LESS : EXPORT (ACTUAL QTY) ( - )8,59,705 ( - )3,51,801 ( - )12,11,506 CLOSING STOCK AS ON 31.03.2011 90,620 NIL 90,620 ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 11 ORIGINAL PURCHASES QTY SHOWN 14,59,106 4,34,726 18,93,832 ACTUAL PURCHASE QTY 10,89,590 4,34,725 15,24,315 THERE IS NO CHANGE IN VALUE. DIFFERENCE IS ONLY IN QUANTITY. 4.2 THE LEARNED AR HAS ALSO FILED A QUANTITATIVE RECONCILIATION STATEMENT AS ON 31.03.2011, AS FOLLOWS: - QUANTITY OF STOCK DISCLOSED SHRIMPS ORIGINALLY AS ON 31.03.2011 7,75,398 KG. ACTUAL QUANTITY AS PER REVISED CLAIM SHRIMPS AS ON 31.03.2011 90,620 KG. DIFFERENCE IN QUANTITY OF STOCK EXCESS QTY DISCLOSED BETWEEN ORIGINAL RETURN AND REVISED RETURN 6,48,778 KG. QUANTITY OF SHRIMP PRODUCTION QUANTITY OF SHRIMP AS PER ORIGINAL RETURN 90,63,010 KG. ACTUAL QUANTITY OF PRODUCTION OF SHRIMP (REF. REVISED CLAIM) DURING THE YEAR ( - )7,62,713 KG. EXCESS QUANTITY SHRIMP OF PRODUCTION DISCLOSED ORIGINALLY. (A) 2,00,297 KG. QUANTITY OF SHRIMP EXPORTED SHOWN WRONGLY AS PER ORIGINAL RETURN 3,75,224 KG. ACTUAL QUANTITY OF SHRIMP EXPORTED (REF. REVISED CLAIM) ( - )8,59,705 KG. EXPORT QUANTITY OF SHRIMP SHORT ACCOUNTED IN ORIGINAL RETURN (B) 4,84,481 KG. EXCESS STOCK OF SHRIMP ORIGINALLY SHOWN AS ON 31.03.2011 (A) + (B) 6,48,778 KG. 5. WE HAVE HEARD THE RIVAL SUBMISSIONS AND PERUSED THE MATERIAL ON RECORD. IN THE PRESENT CASE, THE CLOSING STOCK OF SHRIMPS IS AMOUNTING TO 7,75,398 KGS. IT WAS VALUED BY THE TAX AUDITORS IN FORM NO.3CD AT RS.206 PER KG. HOWEVER, THE ASSESSEE HAS SHOWN THE VALUE AT RS.32.19 PER KG. THUS, IT WAS ALLEGED BY THE ASSESSING OFFICER THAT THERE WAS UNDER - VALUATION OF STOCK AT RS.13,47,71,926. THE CONTENTION OF THE AR IS THAT THE QUANTITY OF STOCK REFLECTED IN FORM NO.3CD WAS ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 12 A MISTAKE AND THE ASSESSEE HAS GIVEN REASONS FOR SUCH DIFFERENCE A ND STATED THAT A T THE TIME OF HEARING OF THE REASSESSMENT PROCEEDINGS THE ASSESSEE PRODUCED THE REGISTERS MENTIONED ABOVE ALONG WITH COPIES OF PURCHASE BILLS AND COPIES OF EXPORT INVOICES IN SUPPORT OF THEIR CONTENTION. AS PER THE PRODUCTION REGISTER PROD UCED, THE ACTUAL PRODUCTION DURING THE YEAR WAS 11,14,514 KGS AND THE EXPORT SALES WAS 12,11,506 KGS. THE PRODUCTION QUANTITY OF 11,14,514 KGS WHEN ADDED WITH THE OPENING STOCK QUANTITY OF 1,87,612 KGS AND THE EXPORT SALES QUANTITY OF 12,11,506 KGS DEDUCTE D THERE FROM, THE CLOSING STOCK QUANTITY WOULD HAVE BEEN 90620 KGS ONLY AGAINST THE QUANTITY OF 7,75,398 KGS SHOWN IN FORM NO. 3CD . IT MAY BE NOTED THAT THE EXPORT SALES QUANTITY OF 12,11,506 KGS WERE CERTIFIED BY THE CUSTOMS BEFORE THE GOODS ARE PUT ON B OARD THE SHIP ON EACH OCCASION OF EXPORT SALES AND THEREFORE THE QUANTITY OF EXPORTS AS GIVEN IN FORM NO. 3CD AS 727,025 KGS CANNOT UNDER ANY CIRCUMSTANCES BE CORRECT. THE PRODUCTION QUANTITY AS PER FORM NO. 3CD OF 13,14,811 KGS WAS ALSO NOT CORRECT SINCE AS PER THE ORIGINAL PRODUCTION REGISTER PRODUCED BEFORE THE A. O. DURING THE RE - ASSESSMENT PROCEEDINGS, THE QUANTITY PRODUCED WAS ONLY 11,14,514 KGS. THE EXPORT INVOICE COPIES AND PRODUCTION REGISTER ALONG WITH SUMMARY STATEMENTS WERE PRODUCED IN SUPPORT O F THE ABOVE CONTENTIONS. THE LEARNED AR FURTHER SUBMITTED THAT THE ASSESSEE WAS ALSO BOUND TO SUBMIT THE MONTHLY STOCK POSITION TO THEIR BANKER'S FOR AVAILING PACKING CREDIT FACILITIES BY WAY OF STOCK STATEMENTS. THE A. O. DURING THE RE - ASSESSMENT PROCEEDIN GS REQUIRED THE ASSESSEE 'S BANKERS TO SUBMIT A COPY OF THE STOCK STATEMENT FURNISHED BY ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 13 THE ASSESSEE AND THEY HAVE GIVEN THE SAME TO THE ASSESSING AUTHORITY WHO VERIFIED THE SAME BEFORE PASSING THE RE - ASSESSMENT ORDER. IN FACT, AFTER VERIFYING THE PURCHAS E BILLS , EXPORT BILLS, PRODUCTION REGISTER, SALES REGISTER AND THE BANK STOCK STATEMENT, THE A.O. WAS CONVINCED THAT THE QUANTITATIVE PARTICULARS FURNISHED IN FORM NO. 3CD WAS A MISTAKE ITSELF. IN PARA 5, PAGE 4 AND 5 , THE A. O. SPECIFICALLY MENTIONED AB OUT THIS, HOWEVER, AS THE REVENUE AUDIT PARTY DID NOT DROP THEIR AUDIT QUERY, HE WAS COMPELLED TO PROCEED WITH THE RE - ASSESSMENT , WHICH IS EVIDENT FROM PAGE 5 OF HIS RE - ASSESSMENT ORDER ITSELF. FURTHER, THE REGISTERS MAINTAINED IN RESPECT OF PRODUCTION AND EXPORTS ALONG WITH BILLS, WERE PRODUCED AS ADDITIONAL EVIDENCE TO PROVE THAT THE QUANTITATIVE PARTICULARS IN FORM NO. 3CD WAS WRONG. THE A. O 'S ADMISSION IN THE RE - ASSESSMENT ORDER IS ALSO VALID EVIDENCE IN SUPPORT OF THE ASSESSEES CONTENTIONS AND IT WAS ONLY BECAUSE OF COMPELLING SITUATIONS , THE RE - ASSESSMENT WAS COMPLETED BY HIM MAKING AN ADDITION OF RS 13,47,71,926/ - TO THE INCOME ALREADY ASSESSED AS PER ORDER DATED 06/03/2014. THE LEARNED AR CONCLUDED THAT A S THERE WAS NO CHANGE IN THE CLOSING STOCK V ALUE AS PER THE ORIGINAL RETURN AND AS PER THE RETURN FILED U / S 147 , THE RE - ASSESSMENT WAS ITSELF NOT NECESSARY. 6. FURTHER, IN THE REASSESSMENT ORDER, THE A.O. ACCEPTED THE CONTENTION OF THE ASSESSEE BY OBSERVING AS FOLLOWS: - THE ASSESSEE SUBMITTED BEFORE ME THAT THE REASON FOR THE ALLEGED ESCAPEMENT OF INCOME FOR THE ASSESSMENT YEAR 2011 - 12 WAS PURELY ON ACCOUNT OF THE MISTAKE IN THE QUANTITATIVE PARTICULARS FURNISHED EARLIER. THE MISTAKE WAS ONLY IN THE QUANTITY FIGURES OF FI NISHED GOODS PRODUCED AND IN THE EXPORT SALES OF FINISHED GOODS WHICH FIGURES WERE INADVERTENTLY INFLATED WHILE ENTERING THE DATA IN THE RELEVANT COLUMN. IN ORDER TO PROVE THAT THE DATE FURNISHED OF THE QUANTITY PRODUCED ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 14 AND SOLD, THE ASSESSEE HAS NOW FURN ISHED TO ME THE STOCK REGISTER AND THE SALES REGISTER WHICH WERE THE RELEVANT ORIGINAL RECORDS, WHERE THE PRODUCTION AND SALES WERE ORIGINALLY ENTERED DAY BY DAY. COPY OF THESE REGISTERS IS ALSO FILED IN THE ASSESSMENT RECORDS. THE ASSESSEE ALSO PRODUCED T HE DAILY PURCHASE BILLS AND EXPORT BILLS IN SUPPORT OF THE PRODUCTION AND SALES RECORDED IN THE RESPECTIVE REGISTERS. ON A TEST CHECK OF THESE BILLS WITH THE REGISTERS, I AM CONVINCED THAT THE FIGURES OF PRODUCTION AND SALES FURNISHED ORIGINALLY WERE WRONG AND THE TOTAL PRODUCTION AND SALES AS PER THIS REGISTERS LEAVES BEHIND ONLY A CLOSING STOCK OF 90620 KILOS AS ON 31.3.2011. THE OPENING STOCK AS ON 1.4.2010 IS THE SAME QUANTITY DISCLOSED AS INVENTORY AS ON 31.3.2010. WHEN THE PRODUCTION QUANTITY IS ADDED TO THE OPENING STOCK AND THE EXPORT SALES QUANTITY REDUCED THERE FROM, THE RESULTANT QUANTITY IS 90620 KGS ONLY, WHICH IS THE CLOSING STOCK AS ON 3L.3.201L. WHEN THIS STOCK IS VALUED APPLYING THE METHOD OF VALUATION FOLLOWED BY THE ASSESSEE, THE CLOSING STOCK VALUE AS ON 31.3.2011 WAS RS.2,49,56,300 ONLY. HOWEVER, SINCE ONLY A TEST CHECK OF THE BASIC RECORDS PRODUCED COULD BE DONE DUE TO SHORTAGE OF TIME, I AM NOT SATISFIED AS ALL RECORDS TO ARRIVE THE CLOSING STOCK WAS VERIFIED HENCE I PROCEED WITH THE R E - ASSESSMENT TO ASSESS THE DIFFERENCE IN CLOSING STOCK AS THE INCOME WHICH HAS ESCAPED ASSESSMENT FOR THE A.Y. 2011 - 12 AS PER THIS OFFICE PROPOSAL LETTER DATED 5.12.2016. ACCORDINGLY, RS.13,47,71,926 IS ADDED TO THE TOTAL INCOME ASSESSED VIDE THIS OFFICE ORDER U/S.143(3) DATED 6.3.2014. 7. IN OUR OPINION, ONCE THE ASSESSING OFFICER AGREED THAT THE FIGURES OF PRODUCTION AND SALES FURNISHED ORIGINALLY OUT OF TOTAL PRODUCTION AS PER ASSESSEES REGISTER IS ONLY 90,620 KGS. A S ON 31.3.2011, STILL HE SUSTAINED THE ADDITION OF RS.13,47,71,926, WHICH IS NOT PROPER. THE ASSESSING OFFICER, THOUGH, HIMSELF SATISFIED ABOUT THE CORRECTNESS OF THE VALUE OF STOCK SHOWN BY THE ASSESSEE IN ITS RETURN OF INCOME, HE STILL WANT S TO SUSTAIN THE ADDITION ON THE BASIS OF THE OB JECTIONS RAISED BY THE TAX AUDITORS, WHICH IS IMPROPER AND UNJUSTIFIABLE. ACCORDINGLY, WE AGREE WITH THE FINDING OF THE CIT(A) IN DELETING THE ADDITION ON THIS COUNT. ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 15 8 . IN THE RESULT, THE APPEAL FILED BY THE REVENUE IS DISMISSED. ORDER PRONOUNCED ON TH IS 20 TH DAY OF NOVEMBER , 2019 . SD/ - SD/ - ( GEORGE GEORGE K ) ( CHANDRA POOJARI ) JUDICIAL MEMBER ACCOUNTANT MEMBER COCHIN ; DATED : 20 TH NOVEMBER , 2019 . DEV A DAS G * COPY OF THE ORDER FORWARDED TO : BY ORDER, (ASSTT. REGISTRAR) ITAT, COCHIN 1. THE APPELLANT 2. THE RESPONDENT. 3. THE CIT (APPEALS) THIRUVANANTHAPURAM. 4. THE PR.CIT THIRUVANANTHAPURAM. 5. DR, ITAT, COCHIN 6 . GUARD FILE. ITA NO. 227 / COCH /201 8 M./S.BABY MARINE INTERNATIONAL. 16 DATE INITIAL 1. DRAFT DICTATED ON 13.11.2019 SR.PS 2. DRAFT PLACED BEFORE AUTHOR 13.11.2019 SR.PS 3. DRAFT PROPOSED & PLACED BEFORE THE SECOND MEMBER JM/AM 4. DRAFT DISCUSSED/APPROVED BY SECOND MEMBER. JM/AM 5. APPROVED DRAFT COMES TO THE SR.PS/PS SR.PS/PS 6. KEPT FOR PRONOUNCEMENT ON SR.PS 7. FILE SENT TO THE BENCH CLERK SR.PS 8. DATE ON WHICH FILE GOES TO THE AR 9. DATE ON WHICH FILE GOES TO THE HEAD CLERK. 10. DATE OF DISPATCH OF ORDER. 11. DRAFT DICTATION SHEETS ARE ATTACHED SR.PS