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2024 (7) TMI 281 - AT - Income Tax


Issues Involved:
1. Denial of deduction under Section 80P of the Income Tax Act.
2. Rejection of rectification application under Section 154 of the Income Tax Act.
3. Non-consideration of the claim of deduction under Section 80P based on mutuality.
4. Procedural errors in the filing of the return and rectification applications.
5. Condonation of delay in filing the appeal with the Tribunal.

Detailed Analysis:

1. Denial of Deduction Under Section 80P:
The assessee filed a return of income for the assessment year 2018-19 declaring a gross total income of Rs. 7,82,092 and claimed a deduction under Chapter VIA, resulting in a net income of Nil. The Centralized Processing Center (CPC) processed the return under Section 143(1) and denied the deduction under Section 80P, computing the income chargeable to tax at Rs. 7,82,092. The CPC's denial was based on the improper filling of Schedule VIA and the assessee's status not being a 'co-operative society.'

2. Rejection of Rectification Application Under Section 154:
The assessee filed two rectification applications under Section 154, both of which were rejected by CPC. The CPC noted that the Schedule VIA was not correctly filled for claiming the deduction under Section 80P and that the deduction is not allowable for statuses other than 'co-operative society.' Additionally, the CPC mentioned that the deduction under Section 80P is allowed only on non-speculative and non-specified business income and suggested using the Department utility for filing corrected XML.

3. Non-Consideration of Claim of Deduction Under Section 80P Based on Mutuality:
The assessee, a co-operative society, claimed that its income is exempt based on the principle of mutuality. The CIT(A) dismissed the appeal on the grounds that the assessee did not properly fill the schedule in the return of income for claiming the deduction under Section 80P. The CIT(A) observed that the assessee had not filed any appeal against the intimation order issued under Section 143(1) and that the rectification application under Section 154 was not maintainable for debatable issues.

4. Procedural Errors in Filing of Return and Rectification Applications:
The Tribunal noted that the assessee admitted to procedural lapses in filing the return of income and the rectification applications. The Tribunal emphasized that the Department is obligated to assess the correct income and allow correct deductions, even if there are procedural errors, and referenced Article 265 of the Constitution of India and CBDT Circular No. 14 of 1955.

5. Condonation of Delay in Filing the Appeal with the Tribunal:
The assessee filed the appeal with the Tribunal 104 days beyond the time prescribed under Section 253(3). The Tribunal condoned the delay, noting that there was no malafide intention on the part of the assessee and that the delay was due to the assessee not being informed about the CIT(A)'s order by their Authorized Representative. The Tribunal referenced the Supreme Court decision in Collector of Land Acquisition, Anantnag v. Mst. Katiji, emphasizing the preference for substantial justice over technicalities.

Conclusion:
The Tribunal allowed the appeal for statistical purposes and remanded the matter back to the CIT(A) to reconsider the contentions, claims, and evidence filed by the assessee. The CIT(A) was directed to pass an appellate order on merit, both factual and legal, in accordance with the law, after giving an opportunity to both parties. The Tribunal clarified that it had not commented on the merits of the issue and that the CIT(A) should adjudicate all the issues on merit. The order was pronounced in the open court on 03-07-2024.

 

 

 

 

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