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2006 (5) TMI 309 - AT - Income Tax

Issues:
Revenue's appeal against denial of deduction under section 80P(2)(a)(vi) for assessment years 1995-96 and 1997-98.

Analysis:
In both years, the revenue contended that the assessee, a labor co-operative society, was not entitled to deduction under section 80P(2)(a)(vi) due to the inability to produce books of account. The Assessing Officer estimated the net profit at 8% of turnover after rejecting the deduction claim. However, the CIT(A) allowed the deduction, emphasizing that denial based solely on lack of book production was unjustified. The CIT(A) noted that the society's members remained the same in all relevant years and that previous and subsequent years had received the deduction. The revenue argued that the Assessing Officer's decision was correct, citing a survey that found no books of account and previous judgments. The assessee maintained that section 80P(2)(a)(vi) only quantified the deduction, not its entitlement, and produced a police complaint regarding the lost books. The Tribunal found the revenue's cited judgments irrelevant as they pertained to a different issue. Relying on a previous Tribunal decision, the Tribunal held that denial of deduction based solely on book non-production was unwarranted when all other conditions were met. Consequently, the Tribunal upheld the CIT(A)'s decision to allow the deduction, dismissing the revenue's appeals for both years.

This comprehensive analysis highlights the core issue of denial of deduction under section 80P(2)(a)(vi) due to the non-production of books of account, the arguments presented by both parties, the relevant legal precedents cited, and the final decision of the Tribunal based on the fulfillment of statutory conditions despite book non-production.

 

 

 

 

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