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2024 (1) TMI 1273 - AT - Income Tax


Issues involved:
The judgment involves the issue of the maintainability of a society's claim for deduction under section 80P of the Income Tax Act, 1961, and the determination of whether the society qualifies as a primary agricultural credit society (PACS) for the purposes of the Act.

Maintainability of Deduction under Section 80P:
The judgment concerns an appeal by the Assessee challenging the denial of its claim for deduction under section 80P of the Income Tax Act. The primary issue raised is whether the Assessee, registered as a society under the Kerala Co-operative Societies Act, qualifies as a PACS for the purpose of claiming the deduction. The denial of the deduction was based on the low percentage of lending to the agricultural sector and the acceptance of deposits from non-members by the Assessee-society.

Definition of Primary Agricultural Credit Society (PACS):
The Tribunal agreed with the Assessing Officer that the Assessee does not qualify as a PACS as per the definition under the Banking Regulation Act, 1949, which is relevant for determining eligibility under section 80P of the Act. The judgment highlighted the specific criteria outlined in the Act for a society to be considered a PACS, emphasizing the importance of the nature of income flowing from the provision of credit to its members.

Status as a Co-operative Bank:
The judgment also delves into the assessment of whether the Assessee, being a cooperative society registered under the Kerala Act, can be classified as a co-operative bank. The determination of the Assessee's status as a primary cooperative bank, as defined under the Act, plays a crucial role in deciding its eligibility for the deduction under section 80P. The absence of the Assessee's bye-laws on record necessitates further examination by the Assessing Officer to ascertain its classification as a cooperative bank.

Restoration of the Matter to the Assessing Officer:
In conclusion, the Tribunal restored the matter to the file of the Assessing Officer for a comprehensive review and decision in accordance with the law. The Assessing Officer is directed to consider each argument presented by the Assessee and issue a speaking order after due deliberation. The judgment emphasizes the need for a thorough evaluation of the Assessee's status and operations to determine its eligibility for the deduction under section 80P.

Judgment Pronouncement:
The order was pronounced on January 31, 2024, under Rule 34 of The Income Tax (Appellate Tribunal) Rules, 1963.

 

 

 

 

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