While Assailing The Assessment Order Before The 3[Rd]Respondent, Petitioner Has Sought To Canvass That Thejudgment Of The Supreme Court In Mavilayi Serviceco-Op v. Commissioner Of Income Tax[2021 (1) Klt 485] Was Not Considered By The Assessing Officerthough The Assessment Order Was Rendered Subsequent To Thesupreme Court
High Court
23 May 2022 In favour of: Unclear
Forum / Bench
High Court · highcourtofkerala
Parties
While Assailing The Assessment Order Before The 3[Rd]Respondent, Petitioner Has Sought To Canvass That Thejudgment Of The Supreme Court In Mavilayi Serviceco-Op v. Commissioner Of Income Tax[2021 (1) Klt 485] Was Not Considered By The Assessing Officerthough The Assessment Order Was Rendered Subsequent To Thesupreme Court
Date of order
23 May 2022
Assessment year(s)
2013-14
Outcome
Other
The order — as passed by the High Court
Case summary
In While Assailing The Assessment Order Before The 3[Rd]Respondent, Petitioner Has Sought To Canvass That Thejudgment Of The Supreme Court In Mavilayi Serviceco-Op v. Commissioner Of Income Tax[2021 (1) Klt 485] Was Not Considered By The Assessing Officerthough The Assessment Order Was Rendered Subsequent To Thesupreme Court, the High Court (2022) decided the matter under Section 80P of the Income-tax Act.
Summary auto-generated from the order below — read the full judgment for the complete reasoning.
Sections referenced in this judgment
IN THE HIGH COURT OF KERALA AT ERNAKULAM
PRESENT
THE HONOURABLE MR. JUSTICE BECHU KURIAN THOMAS
WEDNESDAY, THE 25 DAY OF MAY 2022 / 4TH JYAISHTA, 1944
W.P.(C) NO.16581 OF 2022
PETITIONER:
KUZHUR SERVICE CO-OPERATIVE BANK LIMITED,
KUZHUR P.O,, THRISSUR , PIN-680 734
REPRESENTED BY ITS SECRETARY SMT. SUNITHA V.R.
BY ADVS.K.S.HARIHARAN NAIRP.F.JOYRAJATH R NATH
G.REMADEVIHARIMA HARIHARAN
RESPONDENTS:
1INCOME TAX OFFICER,THRISSUR, PIN-680 001.
WARD 2(2), AAYAKAR BHAVAN,
SAKTHAN THAMPURAN NAGAR,
2THE ADDITIONAL/JOINT/DEPUTY/ASST. COMMISSIONER OF INCOME TAX/INCOME TAX OFFICER, NATIONAL FACELESS ASSESSMENT CENTRE, DELHI-110 001.
3COMMISSIONER OF INCOME TAX (APPEALS), DELHI-110 001.
NATIONAL FACELESS APPEAL CENTRE,
SRI. JOSE JOSEPH, STANDING COUNSEL
THIS WRIT PETITION (CIVIL) HAVING COME UP FOR ADMISSION ON25.05.2022, THE COURT ON THE SAME DAY DELIVERED THE FOLLOWING:
W.P.(C) NO.16581 OF 2022
BECHU KURIAN THOMAS, J.
------------------------------------------
W.P.(C) No.16581 of 2022
------------------------------------------
Dated this the 25[th] day of May, 2022
JUDGMENT
Petitioner is a Primary Agricultural Credit Societyregistered under the Kerala Co-operative Societies Act, 1969.Ext.P1 order of assessment was issued against the petitioneron 29.03.2022. In the assessment order, petitioner's claim fordeduction under Section 80P was rejected on the ground thatthere was no evidence to show that petitioner satisfied theingredients of the Primary Agricultural Credit Society ascontemplated under the Kerala Co-operative Societies Act.
2. While assailing the assessment order before the 3[rd]respondent, petitioner has sought to canvass that thejudgment of the Supreme Court in Mavilayi ServiceCo-operative Bank Ltd. v. Commissioner of Income Tax[2021 (1) KLT 485] was not considered by the assessing officerthough the assessment order was rendered subsequent to theSupreme Court Judgment.
3. Since petitioner has already preferred an appeal as
W.P.(C) NO.16581 OF 2022
Ext.P2 and the same is pending consideration before the 3[rd]respondent, I deem it fit that this writ petition be disposed ofdirecting the Appellate Authority to consider the appeal in atime bound manner.
Accordingly, there will be a direction to the 3[rd]respondent to dispose of Ext.P2 appeal, as expeditiously aspossible, at any rate, within a period of six months from thedate of receipt of a copy of this judgment, after granting anopportunity of hearing to the petitioner. Till then, all coerciveproceedings against the petitioner pursuant to Ext.P1 shall bekept in abeyance.
bpr
Sd/- BECHU KURIAN THOMASJUDGE
W.P.(C) NO.16581 OF 2022
APPENDIX
PETITIONER'S EXHIBITS
EXHIBIT P1
COPY OF ASSESSMENT ORDER DATED 29.03.2022ISSUED BY THE 2ND RESPONDENT FOR THE ASSESSMENT YEAR 2013-14.
EXHIBIT P2
COPY OF APPEAL MEMORANDUM FILED BY THE PETITIONER BEFORE THE 3RD RESPONDENT DATED 04.05.2022 AGAINST EXT.P1.
EXHIBIT P3
COPY OF THE STAY PETITION FILED BY THE PETITIONER BEFORE THE 3RD RESPONDENT DATED 04.05.2022 IN EXT.P2 APPEAL.
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.