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Issues involved: The issue in this case is whether the income of the assessee, a co-operative society engaged in the supply of sugarcane, from interest in Government securities is exempt under clause (c) of section 80P(2) of the Income Tax Act for the assessment year 1973-74.
Judgment Summary: Issue 1: Interpretation of clause (c) of section 80P(2) The court examined whether the income of the co-operative society, derived from investments in Government securities as mandated by statutory provisions, is exempt under clause (c) of section 80P(2) of the Income Tax Act. The court referred to the decision in Cambay Electric Supply Industrial Co. Ltd. v. CIT [1978] 113 ITR 84 (SC), where it was held that the expression "attributable to" is broader than "derived from," indicating that receipts from sources other than the actual business operations may be covered. The court found that the investment in Government securities was a condition for conducting the business of supplying sugarcane, and the profits from such investments were connected with the business activity. Therefore, the court upheld the Tribunal's decision that the income from Government securities was attributable to the activity carried on by the assessee, thus exempt under clause (c) of section 80P(2). The court answered the question in the affirmative, in favor of the assessee and against the department. As there was no representation from the assessee, no costs were awarded in the matter.
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