Case LawHigh Court › By Advs.sri.harisankar v. Menonsmt.meera...

By Advs.sri.harisankar v. Menonsmt.meera V.menon

High Court 28 Sep 2020 In favour of: Unclear
Forum / Bench
High Court · highcourtofkerala
Parties
By Advs.sri.harisankar v. Menonsmt.meera V.menon
Date of order
28 Sep 2020
Assessment year(s)
Outcome
Other

The order — as passed by the High Court

Case summary

In By Advs.sri.harisankar v. Menonsmt.meera V.menon, the High Court (2020) decided the matter.

Summary auto-generated from the order below — read the full judgment for the complete reasoning.
IN THE HIGH COURT OF KERALA AT ERNAKULAM PRESENT THE HONOURABLE MR. JUSTICE A.K.JAYASANKARAN NAMBIAR MONDAY, THE 28TH DAY OF SEPTEMBER 2020 / 6TH ASWINA, 1942 WP(C).No.20053 OF 2020(F) PETITIONER/S: THE MUNDUR SERVICE CO-OPERATIVE BANK LTD.NO.F 1650, MUNDUR, PALAKKAD-678 592, REP.BY ITS SECRETARY, JIJUMON A.J. BY ADVS.SRI.HARISANKAR V. MENONSMT.MEERA V.MENON RESPONDENT/S: 1THE INCOME TAX OFFICERWARD 2, AYAKAR BHAVAN, PALAKKAD-670 014WARD 2, AYAKAR BHAVAN, PALAKKAD-670 0142THE COMMISSIONER OF INCOME TAX (APPEALS)THRISSUR -680 021THRISSUR -680 0213THE INCOME TAX APPELLATE TRIBUNALREGISTRARREGISTRAR AYAKAR BHAVAN, KAKKANADU, KOCHI-682 030, REP.BY ITS OTHER PRESENT: SC: JOSE JOSEPH THIS WRIT PETITION (CIVIL) HAVING COME UP FOR ADMISSION ON28.09.2020, THE COURT ON THE SAME DAY DELIVERED THE FOLLOWING: 2 JUDGMENT Against Ext.P1 assessment order under the Income Tax Act, thepetitioner preferred an appeal before the First Appellate Authority but thesame was rejected by Ext.P2 order. Aggrieved by the said order, the petitionerpreferred Ext.P3 appeal along with Ext.P4 stay petition before the 3rdrespondent. It is the contention of the learned counsel for the petitioner thatthe issue involved in the appeal is the permissibility of deduction underSection 80P of the Income Tax Act in its application to Co-Operative Societies.It is pointed out that in similar matters this Court has directed the appellateauthority to consider and pass orders in the appeal and stayed the recoveryproceedings, in the meanwhile. 2. I have heard the learned counsel appearing for the petitioner as also thelearned Standing Counsel appearing for the respondents. On a consideration of the facts and circumstances of the case and thesubmissions made across the Bar and the finding that in similar cases thisCourt has granted stay of recovery proceedings, pending disposal of the appealby the appellate authority, I dispose the writ petition by directing the 3rdrespondent to consider and pass orders on Ext.P3 appeal preferred by thepetitioner within an outer time limit of six months from the date of receipt of acopy of this judgment, after hearing the petitioner. I also make it clear that tillsuch time as orders are passed by the 3rd respondent in the appeal as directed 3 above and the orders communicated to the petitioner, recovery steps forrecovery of amounts confirmed against the petitioner by Exts.P1 and P2 ordersshall be kept in abeyance. The petitioner shall produce a copy of this judgmenttogether with a copy of the writ petition before the 3rd respondent for furtheraction. Sd/- A.K.JAYASANKARAN NAMBIARJUDGE SJ 4 APPENDIX PETITIONER'S/S EXHIBITS: EXHIBIT P1 COPY OF ASSESSMENT ORDER ISSUED BY THE 1ST RESPONDENT FOR THE YEAR 2016-17. EXHIBIT P2 COPY OF APPELLATE ORDER ISSUED BY THE 2ND RESPONDENT FOR THE YEAR 2016-17 EXHIBIT P3 COPY OF APPEAL FILED BY THE PETITIONER BEFORE THE 3RD RESPONDENT - 2016-17. EXHIBIT P4 COPY OF STAY PETITION FILED THE PETITIONER BEFORE THE 3RD RESPONDENT.
Facing a similar income-tax issue?
Our CA-led litigation team handles notices, scrutiny, penalties and appeals (CIT(A) & ITAT) end-to-end.
✅ File an income-tax appeal (CIT(A)/ITAT) → 💬 Ask our CA
This page reproduces a public-domain court order (Section 52(1)(q)(iv), Copyright Act 1957). Explanations are EaseValue's original analysis. Always read the original order.
Disclaimer: General information only — not legal, tax or professional advice, and no advocate/CA–client relationship is created. AI-generated summaries may contain errors and must be verified against the original court order. EaseValue accepts no liability for reliance on this content. Not a solicitation. Full disclaimer & Terms.
Contact Careers Media / Press · Privacy Terms Refund Cancellation Cookies Disclaimer
© 2026 EaseValue Advisors LLP · LLPIN ACN-4920 · Jaipur, Rajasthan