आयकर अपीलीय अधिकरण कोलकाता 'एसएमसी' पीठ, कोलकाता म ें IN THE INCOME TAX APPELLATE TRIBUNAL KOLKATA ‘SMC’ BENCH, KOLKATA श्री राज े श क ु मार, ल े खा सदस्य क े समक्ष Before SRI RAJESH KUMAR, ACCOUNTANT MEMBER I.T.A. No.: 835/KOL/2023 Assessment Year: 2011-12 New Sushama Industries..........................................Appellant [PAN: AAHFN 4516 H] Vs. ITO, Ward-43(1), Kolkata......................................Respondent Appearances: Assessee represented by: Sh. Siddharth Agarwal, Adv. Department represented by: Smt. Nibedita Gupta, JCIT. Date of concluding the hearing : October 4 th , 2023 Date of pronouncing the order : October 12 th , 2023 ORDER Per Rajesh Kumar, Accountant Member: This is an appeal preferred by the assessee against the order of Learned Commissioner of Income-tax (Appeals)-13, Kolkata [hereinafter referred to Ld. ‘CIT(A)’] dated 27.02.2020 for the Assessment Year (in short ‘AY’) 2011-12. 2. The issue raised in ground no. 5 which is only pressed at the time of hearing which is against the confirmation of addition of Rs. 7,27,536/- by Ld. CIT(A) as made by the Assessing Officer (in short ld. 'AO') on account of bogus purchases. I.T.A. No.: 835/KOL/2023 Assessment Year: 2011-12 New Sushama Industries. Page 2 of 5 3. At the outset, we notice that the appeal of the assessee is delayed by 1,200 days. The assessee has filed condonation petition explaining the reasons attributable to late filing of the appeal of the assessee. We observe from the condonation petition that the delayed filing of the appeal was on account of non-receipt of appellate order passed by Ld. CIT(A). We note that the order was passed by Ld. CIT(A) before the COVID-19 restrictions set in and was not received by the assessee. The assessee came to know only in the month of March, 2021 when the assessee’s representative visited the office of Ld. CIT(A). Then the assessee applied for the copy of the order vide letter dated 23.03.2021 and thereafter again the assessee applied vide letter dated 13.07.2021 & 27.04.2023 but the office of Ld. CIT(A) failed to supply the copy of the appellate order and the copy of the appellate order was finally supplied on 12.06.2023 and the appeal was filed on 11.08.2023. Thus, there is a delay of 1,200 days. After considering the rival contentions and perusing the material on record, we find that substantial part of the delay is covered by COVID-19 period and whatever remaining period was there that is on account of non-supplying of copy of the appellate order to the assessee by the first appellate authority despite repeated communications. In our opinion, the delay in filing the appeal cannot be attributed to the assessee as the assessee was not having the copy of appellate order. Besides, the assessee has not gained anything in any manner whatsoever by delayed filing of the appeal. In our opinion, the substantial delay was for COVID pandemic and other technicalities and therefore the assessee needs to be given a fair chance to represent its case on I.T.A. No.: 835/KOL/2023 Assessment Year: 2011-12 New Sushama Industries. Page 3 of 5 merit. Considering these facts, we are inclined to condone the delay and admit the appeal for adjudication. 4. On the issue of addition of Rs. 7,27,536/-, we note that the AO after receiving information from DDIT (Inv.), Kolkata that Sri Sanjiw Kumar Singh is providing accommodation entries and the assessee is the beneficiary of the same. Accordingly, the case of the assessee was reopened u/s 147 of the Act after issuing notice u/s 148 of the Act. The AO observed on the basis of information furnished by the assessee that the assessee has made bogus purchases of Rs. 7,27,536/- from seven parties the details of which are given at page no. 7 of the assessment order which were controlled by Sri Sanjiw Kumar Singh. The AO added the entire purchases to the income of the assessee when the assessee failed to produce the stock registrar substantiating the fact that goods were in fact received by the assessee and used in the manufacturing of goods. Ld. CIT(A) confirmed the order of the AO on the ground that the assessee has failed to prove the purchases with cogent evidences. 5. After hearing the rival contentions and perusing the material on record, we find that the assessee is in the business of manufacturing of electrical goods and aluminium items. The AO after receiving the information from DDIT (Inv.), Kolkata came to the conclusion that the assessee has purchased goods worth Rs. 7,27,536/- from the concerns controlled and operated by Sri Sanjiw Kumar Singh who is engaged in providing accommodation entries. We note that the assessee has produced evidences, comprising bills vouchers however has not responded to the show I.T.A. No.: 835/KOL/2023 Assessment Year: 2011-12 New Sushama Industries. Page 4 of 5 cause notice issued by the AO. In our opinion in the case of bogus purchases the entire purchases cannot be added to the income and only profit element embedded in the said purchases can be added. In the similar type of cases, the various Coordinate Benches have held that where the assessee has obtained bogus bills of purchases and the purchases were in fact made from the other suppliers i.e grey market thereby making the savings in respect of VAT and other additional expenses and therefore, the assessee earns more than the normal profits. In the present case the assessee has duly furnished bills and vouchers and the material was consumed in the manufacturing process. However, since the assessee has failed to offer any cogent and convincing reply about the goods being received by the assessee with necessary evidences, we deem it fit to make a reasonable disallowance of 5% on account of profit element. Accordingly, the order of Ld. CIT(A) is modified and the AO is directed to sustain the addition to the extent of 5% of the bogus purchases. 6. In the result, the appeal filed by the assessee is partly allowed. Kolkata, the 12 th October, 2023. Sd/- [Rajesh Kumar] Accountant Member Dated: 12.10.2023 Bidhan (P.S.) I.T.A. No.: 835/KOL/2023 Assessment Year: 2011-12 New Sushama Industries. Page 5 of 5 Copy of the order forwarded to: 1. New Sushama Industries, 14A, Sashi Sur Lane, B.K. Paul Avenue, Kolkata-700 005. 2. ITO, Ward-43(1), Kolkata. 3. CIT(A)-13, Kolkata. 4. CIT- 5. CIT(DR), Kolkata Benches, Kolkata. //True copy // By order Assistant Registrar ITAT, Kolkata Benches Kolkata