Tribunal held that, CIT(A) applying 40% net profit on account of alleged concealed receipts was set a side to the AO to decide accordance with law . ( AY. 2009-10)
ITO v. Ravindra Pratap Thareja. (2018] 61 ITR 415 (Jabalpur) (Trib)
S. 69C : Unexplained expenditure -CIT(A) applying 40% net profit on account of alleged concealed receipts was set a side to the AO to decide accordance with law .