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2018 (6) TMI 613 - AT - Income Tax


Issues Involved:
1. Eligibility for deduction under Section 80P(2)(a)(i) of the Income Tax Act.
2. Interpretation of Section 80P(4) of the Income Tax Act.
3. Applicability of the Supreme Court decision in the case of The Citizens Co-Operative Society Ltd. vs. Assistant Commissioner of Income Tax.
4. Definition and classification of Primary Agricultural Credit Societies under the Kerala Co-operative Societies Act, 1969.
5. Jurisdiction and authority of the Assessing Officer in determining the nature of the cooperative society.

Detailed Analysis:

1. Eligibility for Deduction under Section 80P(2)(a)(i) of the Income Tax Act:
The assessees, being primary agricultural credit societies registered under the Kerala Co-operative Societies Act, 1969, claimed deductions under Section 80P(2)(a)(i) of the Income Tax Act. The Assessing Officer denied these claims, arguing that the assessees were engaged in banking activities and thus ineligible for the deduction due to the provisions of Section 80P(4).

2. Interpretation of Section 80P(4) of the Income Tax Act:
The CIT(A) allowed the assessees' claims for deduction, relying on the judgment of the Kerala High Court in the case of The Chirakkal Service Co-operative Bank Ltd. and Others, which held that primary agricultural credit societies registered under the Kerala Co-operative Societies Act are entitled to deductions under Section 80P(2). The Revenue contested this, citing the Supreme Court's decision in The Citizens Co-Operative Society Ltd., which emphasized examining the actual activities of the society rather than relying solely on its registration status.

3. Applicability of the Supreme Court Decision:
The Tribunal examined whether the Supreme Court's decision in The Citizens Co-Operative Society Ltd. applied to the present cases. The Supreme Court had denied the deduction under Section 80P to Citizens Co-Operative Society Ltd. because it was found to be conducting banking activities with the public, not just its members. However, the Tribunal noted that the Kerala High Court's decision in Chirakkal Service Co-operative Bank Ltd. was more relevant, as it specifically addressed primary agricultural credit societies under the Kerala Co-operative Societies Act.

4. Definition and Classification of Primary Agricultural Credit Societies:
The Tribunal reiterated that the Kerala High Court had categorically held that primary agricultural credit societies registered under the Kerala Co-operative Societies Act are entitled to deductions under Section 80P(2). The definition of 'member' under the Kerala Co-operative Societies Act includes nominal members, and thus deposits from such members cannot be treated as from the public. The Tribunal found that the assessees were indeed primary agricultural credit societies and therefore eligible for the deduction.

5. Jurisdiction and Authority of the Assessing Officer:
The Tribunal emphasized that the Assessing Officer did not have the jurisdiction to determine whether the assessees were primary agricultural credit societies or cooperative banks, as this determination falls under the purview of the Reserve Bank of India. The RBI had classified the assessees as primary agricultural credit societies, exempting them from the Banking Regulation Act.

Conclusion:
The Tribunal upheld the CIT(A)'s decision, allowing the assessees' claims for deduction under Section 80P(2)(a)(i) of the Income Tax Act. It concluded that the Supreme Court's decision in The Citizens Co-Operative Society Ltd. did not apply to the present cases, and the Kerala High Court's judgment in Chirakkal Service Co-operative Bank Ltd. was controlling. The appeals filed by the Revenue were dismissed.

 

 

 

 

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