1
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
IN THE INCOME TAX APPELLATE TRIBUNAL
MUMBAI BENCH “J”, MUMBAI
BEFORE PAVAN KUMAR GADALE (JUDICIAL MEMBER)
AND
MS. PADMAVATHY S. (ACCOUNTANT MEMBER)
I.T.A. No.826/Mum/2023 - AY 2014-15
I.T.A. No.827/Mum/2023 - AY 2015-16
I.T.A. No.828/Mum/2023 - AY 2016-17
I.T.A. No.829/Mum/2023 - AY 2017-18
I.T.A. No.830/Mum/2023 - AY 2018-19
Shri Mehulkumar Sombhai Mevada
Ranpur Ugamana Vas
Ta – Deesa, Dist – Banaskantha
Gujarat- 385 535
PAN AKWPM6480C
vs Dy.Commissioner of Income-tax,
Central Circle-2(3), Mumbai
Room No.803, 8
th
Floor, Pratishtha
Bhavan, Old CGO Annexe,
Maharishi Karve Road, Mumbai-400
020
APPELLANT
RESPONDENT
I.T.A. No.749/Mum/2023 - AY 2014-15
I.T.A. No.750/Mum/2023 - AY 2015-16
I.T.A. No.751/Mum/2023 - AY 2016-17
I.T.A. No.752/Mum/2023 - AY 2017-18
I.T.A. No.753/Mum/2023 - AY 2018-19
Shri Smit Dineshchandra Joshi
26, Revenue Society, Patthar
Talavadi Godhra, Panchmahal
Gujarat-389 001
PAN AMZPJ8992M
vs Dy.Commissioner of Income-tax,
Central Circle-2(3), Mumbai
Room No.803, 8
th
Floor, Pratishtha
Bhavan, Old CGO Annexe,
Maharishi Karve Road, Mumbai-400
020
APPELLANT
RESPONDENT
2
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
Assessees represented by Shri B.V. Jhaveri
Department represented by Shri Anil Gupta, Sr.AR
Date of hearing 20-06-2023
Date of pronouncement 27-06-2023
O R D E R
PER BENCH
This bunch of 10 appeals pertaining to two different assessees are directed
against the order of the Commissioner of Income-tax (Appeals)-48, Mumbai dated
03/02/2023 in the case of Shri Mehulkumar Sombhai Mevada and dated 18/01/2023 in
the case of Shri Smit Dineshchandra Joshi for Assessment Years 2014-15 to 2018-2019.
The issues are common for all the appeals and therefore these appeals were heard
together and disposed off through this common order.
I.T.A. No.826 to 830/Mum/2023 - Shri Mehulkumar Sombhai Mevada
3. We will first consider ITA 826/Mum/2023 for A.Y. 2014-15. The assessee filed a
return of income for A.Y. 2014-15 on 25/11/2014 declaring an income of
Rs.2,161,020/-. The assessee is the proprietor of M/s Siddhi Vinayak Enterprises and is
engaged in the business of supply of labour contractors and the assessee has rented the
place of business from one M/s Varun Enterprises for which Shri Hitesh Patel as karta
of Hitesh V Patel, HUF is the proprietor. A search and seizure action under section 132
of the Income-tax Act, 1961 (in short, ‘the Act’) was carried out on 14/02/2019 in the
3
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
case of Classic Marble Pvt Ltd. (CMCPL), with whom the assessee is having the
contract for supply of labour and there was a survey under section 133A on the
premises of M/s Varun Enterprises on the same day. During the course of survey, a
statement from one Mrs Juhi Patel (employee of M/s Varun Enterprises) and Shri
Hitesh Patel was recorded. In the said statements Shri Hitesh V Patel had stated that
only paper work relating to labour contracting was being carried out in the premises and
no actual work was done. He further admitted that he has never seen the labour parties,
who were working for CMCPL and he holds the ‘Power of Attorney’ to take care of
EPF compliance, opening he bank accounts and making payments to the labourers.
Based on these statements recorded, the Assessing Officer was of the view that the
payments made by CMCPL towards labour charges to the assessee are not genuine in
the absence of any corroborative evidence. For this reason, the Assessing Officer
reopened he assessment of the assessee and issued a notice under section 148. In
response to the said notice, the assessee filed the return of income on 29/01/2021
declaring total income at Rs.2,61,020/-. During the course of hearing, the Assessing
Officer confronted the assessee on 08.02.2021 with regard to the various statements
made by Shri Hitesh Patel and the denied all the statements made by Shri Hitesh Patel.
The Assessing Officer was of the view that the assessee has simply denied the facts
mentioned in the statement made by Shri Hitesh Patel that he has not submitted any
corroborative evidence to justify that he has supplied manpower to CMCPL. Further the
Assessing Officer and the assessee cross examined Shri Hitesh Patel in which Shri
Hitesh Patel refuted his previous statements due to which the Assessing Officer was of
the view that the statements of Shri Hitesh Patel denying his previous statements was
not reliable and does not have any merits. The Assessing Officer also noticed that the
4
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
assessee has discontinued the business of supply of manpower from June, 2017 but as
per his bank statements, there are many credit entries from various parties. The
assessee, when asked to explain the nature of credit entries, submitted that the amounts
pertain to repayment of loans advanced in earlier years. The assessee also submitted
that there was a visit by the Enforcement Officer, Regional Office, Vapi which would
substantiate that the assessee was carrying on the business of supply of manpower. The
assessee evidenced the visit through a visit note dated 01/02/2021. The assessee also
submitted affidavits from 172 labourers to support the claim that he has supplied
labourers to CMCPL. The Assessing Officer noticed that out of the 172 labourers, 115
labourers are common for both the assesses and M/s Varun Enterprises and also did not
accept the genuineness of the affidavits for the reason that the assessee could not
contacted all the labourers after 4 years to get the affidavits signed. Based on these
findings, the Assessing Officer made the addition @ 5% of the gross receipts as pe the
details given below:-
A.Y. Total receipts 5% of total
receipts
Already shown in
ROI
Final addition
2014-15 83,39,492 4,16,974 2,61,020 1,55,954
2015-16 3,93,84,294 19,69,214 10,05,330 9,63,884
2016-17 4,90,60,235 24,53,011 11,70,940 12,82,071
2017-18 5,23,87,813 26,19,390 10,91,410 15,27,980
2018-19 1,29,98,471 6,49,923 1,88,350 4,61,573
4. Aggrieved, the assessee filed appeal before the CIT(A). The Ld.CIT(A)
dismissed the appeals. The assessee is in appeals before the Tribunal against the order
of the Ld.CIT(A).
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ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
5. The Ld.AR submitted a detailed written submissions and the relevant portion of
the same is extracted below–
In view of the answers given by Mr Hitesh Patel and Mr Mehul Mevada in their
respective statements recorded by the AO on 8
th
February 2021 and also the statements
made by Mr Hitesh Patel in his cross examination conducted by the advocate for
CMCPL. the conclusion drawn by the AO that M/s. Siddhivinayak Enterprises did not
provide any manpower to CMCPL and all the data regarding labour supply were
maintained and updated by CMCPL itself is contrary to the facts brought on record by
Mr Hitesh Patel and by Mr Mehul Mevada in their respective statements recorded by the
AO on 8
th
February 2021. It is submitted that the AO has not brought on record any
other evidence other than the statement of Mr. Hitesh Patel recorded on 14
th
February
2019 which he has fully explained in his examination conducted by the Assessing on 8
th
February 2021 and thereafter in his cross examination conducted on the same day. In
fact, the evidence adduced of filing 561 affidavits of the workers doing work for CMCPL
during February, 2021 (page 186 to 190B) who are on the pay roll of Varun Enterprises
and other contractors, prove that the contractors did supply manpower to CMCPL and
those workers made it possible for CMCPL to achieve the sales turnover of about Rs.400
crores every year. It was also explained that the processing of natural marble blocks and
manufacturing marble slabs and tiles require manpower to carry out each of the
processes through which the marble block passes through before marble slabs or marble
tiles are manufactured and therefore, CMCPL could not carry on its business without
there being workers working in three shifts all seven days in a week. Similarly. CMCPL
was manufacturing artificial marble blocks and manufacturing artificial marble slabs
and tiles for which CMCPL had employed hundreds of workers in these units. The
assessee also gave financial data of CMCPL for A.Ys. 2015-16 to 2017-18 to explain that
CMCPL could achieve the turnover of about Rs.400 crores every year only because it
had employed sufficient manpower to do the work at each stage of the processes. Not
only that, the total labour charges paid by CMCPL to its sales turnover is ranging
between 3.56% and 4.19% which is most reasonable and comparable with other
concerns carrying on the similar business of the same size. At this juncture it is also
required to be noted that CMCPL had incurred various expenses for these workers like
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ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
providing them quarters, electricity and water charges, canteen expenses, uniform
expenses, medical expenses, premium paid for Workmen's Policy and employer's
contribution of Provident fund in their respective accounts. These expenses are not found
to be non-genuine by the AO as the AO had collected all the details in respect of these
expenses from CMCPL in the course of its assessment for all the years.
It is, therefore, submitted that the reliance placed by the AO on the statement of Mr
Hitesh Patel recorded on 14
th
February 2019 is not only incorrect but it is contrary to the
facts on record after the said statement has been fully explained by Mr Hitesh Patel in
his examination conducted by the AO on 8
th
February 2021 and thereafter the cross
examination of Mr Hitesh Patel conducted by the advocate for CMCPL wherein he has
categorically stated that many of the answers recorded in his statement on 14
th
February
2019 are not his answers d he had never given the said answers.
Apart from the above, the assessee had made elaborate submission and provided various
documentary evidence to prove the genuineness of the transactions with CMCPL. The
assessee in the business of supplying manpower which is the nature of service and
therefore, it can be established and proved by documentary evidence only. The assessee
has provided maximum possible circumstantial evidence as per details given below
:
in
the course of assessment proceedings before the AO.
1. PAN Card of Mr. Mehul Mevada
2. Form C - Certificate of Shop & Establishment Act (dt. 03.03.2014).
3. Certificate in Form VI being the Labour License issued in January 2015.
4. PF coverage confirmation dtd. 18/06/2014 by the PF Commissioner.
5. Note on the business activities i.e. supply of Manpower - carried out by the Assessee
(Siddhi Vinayak Enterprise).
6. Invoices Issued by SVE to CMCPL for the A.Y 2016-17.
7. Bank Statements of SVE from 01.04.2013 to 31.03.2016.
8. Confirmation from Workers who were employed by SVE and working at the Factory
of CMCPE
9. Salary Registers
10. Attendance Registers
11.PFChallans
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ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
12. Visit report of the Enforcement officer of the PF Department dtd. 27.01.2021
13. Details of the wages paid to employees for A.Y. 2016-17
14. Affidavits of 172 labourers working in the factory of CMCPE at the relevant time.
15. Combined PF challan for the month of May 2017
16. Summary of the Bank Statements for the period 1/07/17 to 31.03.2018
17. Copy of financial statement along with Tax Audit Report of the assessee for all five
years. 18. Agreement entered into between Siddhivinayak Enterprises and CMCPL dated
1
st
April, 2015. (Pages 102A-102E).
The Ld.AR further submitted that the A.O. while passing the Assessment order for the
A.Y. 2016-17. brushed aside all the aforesaid numerous documentary evidence and on
conjecture sand surmises rejected the books of account of the assessee (without finding
any defect or discrepancy in the books and records submitted) and estimated the income
at Rs. 24,53,0107- i.e.. 5% of the total receipts, from CMCPE.
The AO failed to appreciate that the income of the assessee in respect of its transactions
with different units of the CMCPL viz, Unit I @ 5% of the gross receipt and 3.75% in
respect of its transactions with Unit III & IV is already offered by the assessee in its
returns of income which is credited to the Profit & Loss Account of the year under
consideration and therefore, the AO has added the amount which is already offered by
the assessee in its return of income. Thus one and the same income is added twice by the
AO while completing the assessment which is the duplicate addition of the income
offered by the assessee
The A.O. computed the addition as shown in table below:
Particulars
Labour
Charges
Service Charge
offered as Income
PF
Total Receipts
CMCPE - UNIT I
2,59,32.966
12,96,647
6,68,264
2,78.97,877
CMCPE UNITS III & IV
1,96,57,364
7,37,149
7,67,845
2,11,62,358
Total
4,55,90,330
20,33,796
14,36,109
4,90,60,235
8
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
The AO has estimated 5% on total receipts i.e., Rs. 4,90,60,2357- which includes service
charges of the assessee of Rs. 20,33,7967- and the reimbursement of provident fund
contribution of Rs. 14,36,1097- from CMCPE. Thus, the A.O. has wrongly computed
addition made by him being 5% of Rs.4,90,60,2357- because 5% of service charges and
PF contribution cannot be added as the income of the assessee.
It is pertinent to mention that the assessee's books of accounts are subject to Tax Audit
under section 44AB of the Act by a ^pittpetefit Chartered Accountant which are filed with
the assessing officer. The assessee has filed his service tax returns based on these books
of account only which were duly accepted by the Service Tax department. The provident
fund authorities also have checked and verified the books of account and the relevant
records of the assessee and have found them in order. Therefore, the conclusion of the
AO, that he is not satisfied about the correctness and completeness of books of account is
completely baseless as the AO has not been able to point out any defect or discrepancy in
the said books of the assessee. In this respect the assessee relies on the decision of the
Bombay High Court in the case of PCIT v. Swananda Properties Pvt. Ltd. (267 Taxman
429). It is further submitted that the amount of gross receipts from CMCPL amounting to
Rs. 4,90,60,2357- is derived only from the books of account of the assessee.
The statement of Shri. Hitesh Patel recorded in the course of the survey has no
evidentiary value more so when the same was explained in examination in chief
conducted by A.O. and in cross examination on 8™ February, 2021.
6. The Ld.DR, on the other hand, relied on the order of the CIT(A).
7. We heard the parties and perused the materials on record. The assessee is a
proprietor of M/s. Siddhi Vinayaka Enterprises and is engaged in the business of supply
of labourers to CMCPL. The said business was carried out of the business premises
rented from Shri Hitesh Patel, who was also supplying labourers to Classic CMCPL and
9
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
was also handling EPF related matters and payments of labour charges on behalf of the
assessee through a ‘Power of Attorney’. The Assessing Officer, based on the
statements recorded from Shri Hitesh Patel and Mrs.Juhi Patel had treated the payments
received by the assessee from CMCPL as non-genuine and accordingly added 5% of
gross receipts to the total income of the assessee. The statements relied on by the
Assessing Officer as extracted from the order of assessment is given below:-
“11.3 During the course of survey action, the statements of Mrs. Juhi Bhairav
Patel, who was employed by M/s. Varun Enterprises were recorded, the relevant
portion of which is as under :
"Q.10 Have you ever seen the labours coming to this office?
Ans: No Sir, I have not seen any labour coming to this office.
Q. 11 Have you ever noticed Sh. Hitesh Patel having conversation on phone
regarding arrangement for labours for site projects?
Ans: No, sir I have not heard any such kind of telephonic conversation.
Q.15. Please confirm whether the business activity of Marutl Associates and
Siddhi Vinayak Enterprise was conducted from this premise i.e. B-131, Raghuvir
Complex,.
Ans; Sir, I had never heard the name of said two firms before, Sir, / only know
that M/s.Varun Enterprise is being operated from this address.
Q.16 Have you ever seen Dinesh Chandra Joshi and Shri Mehul Mevada who
are the partners in Maruti Associates and Siddhi Vinayak Enterprise visiting this
office i.e. B-131, Raghuvir Complex, Opp.VIA Cricket Ground, GIDC, Vapi-
396195?
Ans: No, Sir I have neither heard the said names nor seen such persons in this
office.
11.4 Statement of Mr. Hitesh Patel (Karta of Hitesh V. Patel (HUF) Prop. M/s.
Varun Enterprises, who exercises the Power of Attorney of the assessee and also
10
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
running the proprietary concern of the assessee from the same premise) was also
recorded, the relevant portion of which is as under :
Q9 Please explain in detail, the labour contracting work done by M/s Varun
Enterprise
Ans. Sir, only paper work related to labour contracting is
done at M/s Varun Enterprise.
Q.10 Please confirm if you know the labour parties for which you have taken
the labour contracts from the M/s. Classic Marble Company Pvt. Ltd.
Ans. Sir, I have not seen the labour parties which work for the M/s. Classic
Marble Company_Pvt. Ltd.
Q.11 Please confirm if you are arranging any labour for the M/s. Classic Marble
Company Pvt. Ltd?
Ans. Sir, I am not arranging any labour for M/s,Classic Marble Company Pvt.
Ltd.
Q.12 Please confirm if any labour which is supposed to be supplied by you to
M/s Classic Marble Company Pvt Ltd lhas ever visited this office i.e B -131,
Raghuvir Complex, Vapi.
Ans. Sir, none of the laborers which are supposed to be supplied by me has
ever visited this office i.e. B-131, Raghuvir Complex.Vapi.
Q.13 In reply to above question you have mentioned that you have neither
arranged labour parties for M/s. Classic Marble Company Pvt. Ltd nor seen the
labour parties which have been supplied to M/s. Classic Marble Company Pvt.
Ltd. Then please confirm what is your role in supplying labour to M/s. Classic
Marble Company Pvt. Ltd.
Ans. Sir, my role is to just to sign the cheques and keep the documents as
provided by M/s Classic Marble Company Pvt Ltd at this office. My role is also
to take care of EPF compliance, opening the bank accounts and making
payments to the laborers (the list of labourers to whom payment is to be made is
provided by M/s Classic Marble Company Pvt Ltd).”
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ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
8. We notice that the Assessing Officer has also recorded a statement from the assessee on
08/02/2021 where the Assessing Officer raised various queries to the assessee with regard to
the statements made by Shri Hitesh Patel. The relevant extract of the assessment order with
queries raised and the reply by the assessee is extracted below:-
“11.11 During the course of recording statement on 08.02.2021 of Shri Mehul
Mevada, various queries have been raised to the assessee with regard to various
statements made by Shri Hitesh Patel (who exercises the Power of Attorney of the
assessee and also running the proprietary concern of the assessee from the same
premise), the relevant portion of which is as under:'
Q.18 I am showing you the statement of Shri Hitesh Patel recorded on
14.02.2019, wherein he has admitted that he is not arranging any labour for M/S
CLASSIC MARBLE CO. PVT LTD . Further, he has admitted that he has not
supplied any labour and only done paper work. Please offer your comments ?
Ans. Sir, I have supplied manpower to M/S CLASSIC MARBLE CO, PVT LTD
Q.19 In reply to Q.no.24 to statement recorded on 14.02.2019, Shri Hitesh
Patel admitted that he have Power of Attorney to sign the documents pertaining
to M/s. Siddhi Vinayak Enterprises. Please explain ?
Ans. Sir, I have given Power of Attorney to Shri Hitesh Patel to carry out work
relating to Service Tax, PF, Shop and Establishment, Labour License etc.
Q.20 In reply to Q.no.25 to statement recorded on 14.02.2019, Shri Hitesh
Patel admitted that he received email from Rajeev Mevada regarding payment
which was supposed to be made to labourers. I just used to sign the documents
and send it back to M/S CLASSIC MARBLE CO. PVT LTD . Please explain ?
Ans. The mail pertains to PF payment only
Q.21 Please furnish the documents to substantiate the PF deduction and your
contribution towards Provident Fund
Ans. At present, I am not having details and the same will be submitted by
tomorrow.
12
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
Q.22 Please produce all the day-to-day attendance register, muster role,
labour payment slip for all labour payment ?
Ans. I am producing the attendance register and muster role register. I am
submitting sample copies for record.
Q.23 Please provide the Labour Register and Names of labour for whom you
had deducted PF and match both of the above ?
Ans. I will provide statement of the employees whose PF is deducted and their
names appearing in attendance and muster roll.
Q.24 During ttie^couTse of survey action dated 14.02.2019 at your premise at
B-131, Raghuveer Complex, Vapi, the survey team had found that no business
activity was carried out from the place. Mrs. Juhi Patel in her statement has
stated that no labour coming to this office and she had never heard the name of
M/s. Maruti Associates operating from that premise. What you want to say about
this ?
Ans. The office was taken on rent from Hitesh V Patel. However, the
activities of the labour supply etc was carried on at the factory premises of M/S
CLASSIC MARBLE CO. PVT LTD and the workers were not required to come to
the office. Moreover, at the time of survey, I had stopped the activity. All the PF
compliances related to my firm were carried out by Shri Hitesh Patel from this
office only.
Q.25 Further, the proprietor of M/s. Varun Etnerprises, Mr. Hitesh Patel
during the course of survey action at your business premise also gave his
statement that no business activities of M/s. Maruti Associates is carried out from
your office premises. What you want to say about this ?
Ans. I do not agree with his statement as it was not confronted to me. All the
compliances were carried out from the office only and labour work was carried
out from factory premises of M/S CLASSIC MARBLE CO.PVTLTD.
Q.26 Mr. Hitesh Patel, in statement to Q.No.23, 24 & 25 stated that business
activity of M/s. Maruti Associates is conducted from factory premise of M/s. M/S
CLASSIC MARBLE CO. PVT LTD and they just used to sign the document and
send it back to M/S CLASSIC MARBLE CO. PVT LTD . Please explain?
Ans. I don't agree with the statement of Shri Hitesh Pate! and I don't know why
he has made such statement.
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ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
Q.27 Mr. Hitesh Patel was having the Power of Attorney of M/s. Maruti
Associates (i.e. your prop, concern). He clearly stated that you have never visited
the premise and Hitesh Patel just signed the documents and cheques provided by
M/s. M/S CLASSIC MARBLE CO. PVT LTD . Further, he also stated that he gets
cheque from M/S CLASSIC MARBLE CO. PVT LTD , deposit in bank account
and withdraw cash and return to the Accountant of M/S CLASSIC MARBLE CO.
PVT LTD and get 5%ofwmmJ^sion. What you want to say about this ?
Ans. I don't agree with the statement of Shri Hitesh Patel and I don't know why
he has made such statement. I have visited the office and met Shri Hitesh Patel
also.
Q.28 During the course of survey at the office premise of M/S CLASSIC
MARBLE CO. PVT LTD , Naroli, blank letter head of M/s. Maruti Associates
were found and accountant of M/S CLASSIC MARBLE CO. PVT LTD in his
statement admitted that rubber stamp of M/s. Maruti Associates found from his
cabin. What you want to say . about this?
Ans. The letter head of M/s. Maruti Associates was given to the accountant of
M/S CLASSIC MARBLE CO. PVT LTD for closing of bank account etc, as I had
stopped my business activity.
9. From the perusal of the records we notice that the core basis on which the
Assessing Officer has made the addition are–
Statements recorded from Shri Hitesh Patel and Mrs.Juhi Patel
The business of supply of labourers is carried out of the same premises by the
assessee as well as Mr. Hitesh Patel
The assessee has simply submitted that he didn't agree with any of the statements
made by Shri Hitesh Patel but did not submit any corroboratory evidence to
justify that he has supplied man power to CMCPL.
the assessee has not supplied any manpower to any entity other than CMCPL
The assessee's statement that he didn't agree with the comments of Shri Hitesh
Patel has no merits, as Shri Hitesh Patel exercises the Power of Attorney of the
assessee
The affidavits of labourers submitted are not genuine for the reason that assessee
could not have obtained these affidavits after a period of 4 years;
14
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
Shri Hitesh Patel's statements made denying the statements made in earlier
occasion are not reliable.
10. We notice that the assessee during the course of assessment had submitted a
several documentary evidences before the Assessing Officer (list extracted in the earlier
part of this order) which have not been perused by the Assessing Officer and has not
recorded any contrary finding out these documentary evidences. We further notice that
Shri Hitesh Patel had retracted his statements made on 08/02/2021 and in the cross
examination conducted on 14/02/2021 had categorically stated that he did not denied
the statements made on 08/02/2021. During the course of hearing, the Bench asked the
Ld.AR to submit the audited financial statements of the assessee pertaining to the
relevant assessment years. On perusal of the said statements we notice that the
assessee’s accounts are subject to tax audit under section 44AB of the Act and on
further perusal of Form 3CD, we notice that the assessee is deducting provident fund
from the labour charges paid and the same is duly remitted to the Provident Fund
Account. It is also noticed that the labour charges and the Provident Fund contributions
are fully reimbursed by CMCPL and hence, the only income arising to the assessee is
from service charges at 5%. In this regard it is relevant to note that the Assessing
Officer while making addition by applying 5% has considered the gross labour charges
including the service charges which have already been offered to tax by the assessee
and accordingly, we find merit in the submission of the Ld.AR that there is a double
charge towards service charges to this extent. Further we notice that there has been
visit by Enforcement Officer on 27/01/2021 at the premises of the assessee where
15
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
various documents pertaining to the records of the employees maintained by the
assessee have been verified. The copy of the visit note is given below:-
EMPLOYEES PROVIDENT FUND ORGANISATION
(Ministry of Labour, Government of India)
REGIONAL OFFICE
CM/8/5 Snehdeep Commercial Complex, Gunjan, Vapi-
396 195 (Gujarat)
Telephone Number0260) 2435123,2427976
Email:
VISIT NOTE
Date of visit:27-01-2021 Date of document Preseat 01-02-2021
PF Code No. SRVAPC049495000 Name of Estt. M/s. Maruti Associates
Name of E.O. – Samir Kumar
Name of Proprietor / Authorised Signatory: Shri Hitesh Patel
As per inspection assigned to the undersigned through Shram Suvidha Portal, I visited the
establishment Siddhi Vinayak Enterprises situated at B-131, Raghvir Complex Opp V IA Cricket
Counsel Valsad Gujarat for verification of compliance. The undersigned served a spot memo for
requisiting of relevant records for EPF inspection purpose viz. Attendance register, wage register,
copy of balance sheet, copy of digital signature, Form 5A and copy of cancelled cheque.
The observation made on the records prescribed by the employer is as under:-
Inspection was assigned on the basis of default in payment and found under category
A/B in the default list.
The establishment is labour supplier to principal employer M/s Classic Marble
Company Pvt Ltd and after completion of work order, contract had terminated with
effect from 31/03/2020.
Establishment has submitted a letter regarding closure of PF Code for closure from
01/04/2020 and copies of surrender of labour license and completion of contract
labour enclosed as proof of closure.
PF challan summary submitted from May 2014 to Nov-2020, Copy of form 5A, and
Cancelled Cheque enclosed. Thereafter, establishment has remitted min challan as
applicable.
Relevant records like attendance and wages register seen up to March 2020 and
wages ledger in books of account seen.
Based on the available records and facts available as well as on the basis of
establishment’s request, it is hereby recommended to mark the establishment as
closed in system.
Establishment is directed to ensure that PF accumulations of members are transferred
/ withdrawn and est to duly help the members in same.
The undersigned is a PF authority reserve the right for re-inspection / enquiry in case
of any complaint an documentary evidence is brought to the office regarding any
compliance / non compliance in future or the past.
Bank details HDC Bank, Silvassa, Account No.502000004685179.
16
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
Recommended for levy of damages and interest under section 14B and 7Q for belated
compliance.
Sd/-
1/2/2021
(Samir Kumar)
Enforcement Officer
Regional Office, Vapi
For Siddhi Vinayak Enterprises
Sd/-
Propreitor / Authorised Person
18. The above note evidences the fact that the assessee has been maintaining various
records with regard to the labour supply and the same is being verified by the
Enforcement Officer. Considering these facts and the circumstances of the case, we are
of the view that the assessing officer is not correct in holding the assessee is not
engaged in the business of supply of labour contracts to CMCPL without bringing any
contrary findings on record. The only basis for the Assessing Officer to make the
addition is the statements recorded from Mr. Hitesh Patel and the Assessing Officer had
not carried out any independent verification of the various documents submitted by the
assessee. In view of these discussions and after perusing the evidences on record we
hold that the action of the Assessing Officer in making addition applying 5% of the
gross receipts is not tenable. We accordingly delete the addition made by the Assessing
Officer.
19. In the result appeals I.T.A. No.826 to 830/Mum/2023 are allowed.
17
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
I.T.A. No.749 to 753/Mum/2023 - Smit Dineshchandra Joshi
20. The facts are identical in these appeals and the assessee was carrying on the
business of supply of labour contracts to CMCPL as proprietor in the name of M/s
Maruti Associates. The assessee in the given case also was carrying on the said business
from the premises of M/s. Varun Enterprises owned by Shri Hitesh Patel and was
included in the survey proceedings. The Assessing Officer made the addition as per the
details given below based on the same statements recorded from Shri Hitesh Patel.
A.Y. Total receipts 5% of total
receipts
Already shown in
ROI
Final addition
2014-15 81,71,703 4,08,585 2,83,350 1,25,235
2015-16 3,73,97,994 18,69,899 9,99,610 8,70,289
2016-17 4,40,19,670 22,00,983 11,18,420 10,82,563
2017-18 4,99,94,424 24,99,721 13,40,440 11,59,281
2018-19 1,26,34,147 6,31,707 1,69,800 4,61,907
The ld AR submitted that the assessee had submitted the same set of details as has been
done in the case of Shri Mehulkumar Samabhai Mevada evidencing the supply of
labourers to M/s Classic Marble Co.Pvt Ltd which have not been verified by the
Assessing Officer. Further it was submitted that the Enforcement Officer has verified
the labour related documents of M/s.Maruti Associates also which is substantiated by
the visit note.
21. We heard the parties and perused the material on record. We notice that the facts
in present assessee's case are identical to the case of Shri Mehulkumar Samabhai
Mevada. On perusal of records, we further notice that the assessee has made similar set
18
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
of documents before the Assessing Officer including the "visit note" of the Enforcement
Officer. It is also noticed that the Assessing Officer has completed the assessment basis
of statements recorded from Mrs. Juhi Patel and Mr.Mehulkumar Mevada without
recording any contrary finding with regard to the details furnished. Accordingly in view
of our decision in the case of Shri Mehulkumar Samabhai Mevada under similar facts
and circumstances, we hold that in assessee’s case also, the Assessing Officer is not
correct in making the addition without recording any independent adverse finding.
Accordingly, we delete the addition made by the Assessing Officer.
22. In the Result, the appeals I.T.A. No.749 to 753/Mum/2023 are allowed.
23. As a result, all the appeals filed by both the assessees are allowed.
Order pronounced in the open court on 27/06/2023.
Sd/- sd/-
(PAVAN KUMAR GADALE) (PADMAVATHY S)
JUDICIAL MEMBER ACCOUNTANT MEMBER
Mumbai, Dt : 27
th
June, 2023
Pavanan
19
ITA 826 - 830/Mum/2023 & ITAs 749 to 753-Mum-2023
Shri Mehulkumar Sombhai Mevada &
Shri Smit Dineshchandra Joshi
प्रतितिति अग्रेतििCopy of the Order forwarded to :
1.
अिीिार्थी/The Appellant ,
2.
प्रतिवादी/ The Respondent.
3.
आयकर आयुक्त CIT
4.
तवभागीय प्रतितिति, आय.अिी.अति., मुबंई/DR, ITAT,
Mumbai
6.
गार्ड फाइि/Guard file.
BY ORDER,
//True Copy//
Asstt. Registrar / Senior Private Secretary
ITAT, Mumbai