and the wastage ratio. We are of the view that the books results shown by the assessee merits to be accepted in entirely and the gross profits as reflected in the books of account and the wastage as shown in the book results is to be adopted as shown by the assessee. We find support from the judgment in the case of CIT Vs. K.S. Bhatia 269 ITR 577 (P&H), wherein it has been held that in the absence of any definite finding that the case of the assessee falls within the first proviso to section 145 (1) of the Act, and that there were low profits as compared to earlier years would not be a material justifying and estimate of book results. The CIT(A) has given a finding that the books of account in the present case had been rejected on two grounds i.e. low GP and higher wastage. The CIT(A) further observed that “the Assessing Officer has, of course, not given a categorical finding that the proviso to section 145(1) was attracted”. The CIT(A) however, placed reliance on the judgment in the case of Bajaj Steel Traders [164 Taxman 611 (P&H)] for the proposition that the proviso to section 145(1) may be invoked not only when the method of accounting was not proper, but also where the accounts were not correct or complete. As per the CIT(A) the assessee not maintaining day to day record of wastage makes the accounts of the assessee unreliable. In the facts of the present case, where the assessee is maintaining production records, we find no justification in the rejection of book results. There is no basis for estimating the wastage with respect to the raw material consumed and as the assessee is showing higher profits than in the case