In its return the company disclosed for the year ending March 31, 1953 Rs. 15,70,587/- as its total profits according to its books E of account. In the statement under s. 38(3) of the Act filed with the return, the company disclosed t11at it had paid Rs. 1,13,052/8/9 as "ccmmision sales" "on different dates" by cheques to Alloys and Rs. 6,091/4/- to J. S. Williams on October 4, 1952 by cheque as commission on sales. In the profit and loss account of the company filed with the return, the amount of F Rs. 29,76,067 /10/8 was disclosed as received by "sales less commission". On December 7, 1953, R. K. Gupta, a Director of the company made a statement before the Income-tax Officer stating that the commission was paid to Williams on the sales accounted for during the year ended March 31, 1953 and that the same should be allowed as deduction. and that "similar was the case with the commission payable to J. K. Alloys Ltd., which had G already been paid subsequently." On February 21, 1954, the Income-tax Officer called upon the company to produce amongst other documents, certificates showing whether any receipt included in the income, profits or gains had been credited or transferred to an:r assets, capital account. or any other liability account, a similar certificate regarding any credit for important expenses claimed under the head ''profit and loss A/ c", a list of buyers with H full addresses along with quantity, number and net proceeds of export business as well as Indian sales, a statement setting out full details of various items of indirect expenses debited to profit