Ita/319/2021 Of Badagabettu Credit Co-Op Society Ltd v. The Pr Commissioner Of Income Tax (Central)
High Court
13 Jun 2022 In favour of: Revenue
Forum / Bench
High Court · karnataka_bng_old
Parties
Ita/319/2021 Of Badagabettu Credit Co-Op Society Ltd v. The Pr Commissioner Of Income Tax (Central)
Date of order
13 Jun 2022
Assessment year(s)
2015-2016, 2015-16, 2016-2017, 2016-17, 2017-2018
Outcome
Dismissed
Case summary
In Ita/319/2021 Of Badagabettu Credit Co-Op Society Ltd v. The Pr Commissioner Of Income Tax (Central), the High Court (2022) dismissed the appeal. The decision went in favour of the Revenue.
Decision: These appeals are dismissed as withdrawn in terms of the memo.
Summary auto-generated from the order below — read the full judgment for the complete reasoning.
The order — as passed by the High Court
IN THE HIGH COURT OF KARNATAKA AT BENGALURU DATED THIS THE 13 DAY OF JUNE, 2022
PRESENT
THE HON’BLE MR.JUSTICE P.S.DINESH KUMAR
AND
THE HON’BLE MR.JUSTICE ANANT RAMANATH HEGDE
I.T.A. No.319 OF 2021
C/WI.T.A. No.321 OF 2021I.T.A. No.320 OF 2021
IN I.T.A. No.319 OF 2021
BETWEEN:
BADAGABETTU CREDIT CO-OP SOCIETY LTD H.O. "CHETHANA" MISSION COMPOUND UDUPI-576 101 REP. BY ITS GENERAL MANAGER .…APPELLANT
.…APPELLANT
(BY SHRI. MAHESH R. UPPIN, ADVOCATE)
AND:
1. THE PR. COMMISSIONER OF INCOME TAX (CENTRAL) C.R.BUILDING QUEEN'S ROAD BENGALURU-560 001
2. ASSISTANT COMMISSIONER OF INCOME TAX, CENTRAL CIRCLE-2 PANDESHWAR
MANGALURU-575 001
…RESPONDENTS
(BY SHRI. K.V. ARAVIND, ADVOCATE)
THIS ITA IS FILED UNDER SECTION 260-A OF INCOME TAX ACT 1961, ARISING OUT OF ORDER DATED 14.10.2021 PASSED IN ITA NO.243/BANG/2021, FOR THE ASSESSMENT YEAR 2015-2016 PRAYING TO FORMULATE THE SUBSTANTIAL QUESTIONS OF LAW. AND SET ASIDE THE ORDER PASSED BY THE INCOME TAX APPELLATE TRIBUNAL, BENGALURU IN ITA NO. 243/BANG/2021 DATED 14.10.2021 FPR ASSESSMENT YEAR 2015-16 AND ALLOW THIS APPEAL IN THE INTEREST OF JUSTICE.
IN I.T.A. No.321 OF 2021
BETWEEN:
BADAGABETTU CREDIT CO-OP SOCIETY LTD H.O. "CHETHANA" MISSION COMPOUND UDUPI-576 101 REP. BY ITS GENERAL MANAGER
.…APPELLANT
(BY SHRI. MAHESH R. UPPIN, ADVOCATE)
AND:
1. THE PR. COMMISSIONER OF INCOME TAX (CENTRAL) C.R.BUILDING QUEEN'S ROAD BENGALURU-560 001 2. ASSISTANT COMMISSIONER OF INCOME TAX, CENTRAL CIRCLE-2 PANDESHWAR MANGALURU-575 001
…RESPONDENTS
(BY SHRI. K.V. ARAVIND, ADVOCATE)
THIS ITA IS FILED UNDER SECTION 260-A OF INCOME TAX ACT 1961, ARISING OUT OF ORDER DATED 14.10.2021 PASSED IN ITA NO.244/BANG/2021, FOR THE ASSESSMENT YEAR 2016-2017 PRAYING TO FORMULATE THE SUBSTANTIAL QUESTIONS OF LAW, SET ASIDE THE ORDER PASSED BY THE INCOME TAX APPELLATE TRIBUNAL, BENGALURU IN ITA NO. 244/BANG/2021 DATED 14.10.2021
FPR ASSESSMENT YEAR 2016-17 AND ALLOW THIS APPEAL IN THE INTEREST OF JUSTICE.
IN I.T.A. No.320 OF 2021
BETWEEN:
BADAGABETTU CREDIT CO-OP SOCIETY LTD H.O. "CHETHANA" MISSION COMPOUND UDUPI-576 101 REP. BY ITS GENERAL MANAGER
.…APPELLANT
(BY SHRI. MAHESH R. UPPIN, ADVOCATE)
AND:
1. THE PR. COMMISSIONER OF INCOME TAX (CENTRAL) C.R.BUILDING QUEEN'S ROAD BENGALURU-560 001
2. ASSISTANT COMMISSIONER OF INCOME TAX, CENTRAL CIRCLE-2 PANDESHWAR MANGALURU-575 001
…RESPONDENTS
(BY SHRI. K.V. ARAVIND, ADVOCATE)
THIS ITA IS FILED UNDER SECTION 260-A OF INCOME TAX ACT 1961, ARISING OUT OF ORDER DATED 14.10.2021 PASSED IN ITA NO.245/BANG/2021, FOR THE ASSESSMENT YEAR 2017-2018 PRAYING TO FORMULATE THE SUBSTANTIAL QUESTIONS OF LAW AND SET ASIDE THE ORDER PASSED BY THE INCOME TAX APPELLATE TRIBUNAL, BENGALURU IN ITA NO. 245/BANG/2021 DATED 14.10.2021 FOR ASSESSMENT YEAR 2017-18 AND ALLOW THIS APPEAL IN THE INTEREST OF JUSTICE.
THESE ITAs COMING ON FOR ADMISSION, THIS DAY, P.S.DINESH KUMAR J,DELIVERED THE FOLLOWING:
JUDGEMENT
Shri Mahesh R.Uppin, learned advocate for appellants has filed a memo of even date seeking leave
to withdraw these appeals. The memo reads as follows:
"The appellant may be permitted to withdraw
the above appeal with liberty to pursue the
alternative remedy"
2. Leave granted. These appeals are dismissed
as withdrawn in terms of the memo.
No costs.
Sd/-
JUDGE
Sd/-
JUDGE
Yn.
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.