Case LawHigh Court › Wp(C)/32424/2019 Of Varkala Service Co-O...

Wp(C)/32424/2019 Of Varkala Service Co-Operative Bank Ltd v. The Commissioner Of Income Tax(Appeals)

High Court 29 Nov 2019 In favour of: Unclear
Forum / Bench
High Court · highcourtofkerala
Parties
Wp(C)/32424/2019 Of Varkala Service Co-Operative Bank Ltd v. The Commissioner Of Income Tax(Appeals)
Date of order
29 Nov 2019
Assessment year(s)
Outcome
Other

Case summary

In Wp(C)/32424/2019 Of Varkala Service Co-Operative Bank Ltd v. The Commissioner Of Income Tax(Appeals), the High Court (2019) decided the matter.

Summary auto-generated from the order below — read the full judgment for the complete reasoning.

Sections referenced in this judgment

The order — as passed by the High Court

IN THE HIGH COURT OF KERALA AT ERNAKULAM PRESENT THE HONOURABLE MR. JUSTICE A.K.JAYASANKARAN NAMBIAR FRIDAY, THE 29TH DAY OF NOVEMBER 2019 / 8TH AGRAHAYANA,1941 WP(C).No.32424 OF 2019(C) PETITIONER : VARKALA SERVICE CO-OPERATIVE BANK LTD.NO.161,REPRESENTED BY ITS SECRETARY -IN-CHARGE, VARKALA.P.O, CHIRAYINKEEZHU, THIRUVANANTHAPURAM DISTRICT - 695 141 BY ADVS.SRI.T.R.HARIKUMARSRI.ARJUN RAGHAVAN RESPONDENTS : 3THE REGISTRAR,INCOME TAX APPELLATE TRIBUNAL, COCHIN BENCH, KENDRIYA BHAVAN, BLOCK NO.C1 AND C2, 1ST FLOOR, KAKKANAD, COCHIN - 682 030 BY STANDING COUNSEL SRI.CHRISTOPHER ABRAHAM THIS WRIT PETITION (CIVIL) HAVING COME UP FORADMISSION ON 29.11.2019, THE COURT ON THE SAME DAYDELIVERED THE FOLLOWING : J U D G M E N T Against Ext.P3 rectified order under the Income Tax Act, thepetitioner has preferred Ext.P4 appeal together with Ext.P5 stay petitionbefore the 3[rd] respondent. It is the case of the petitioner that even priorto considering the stay petition, recovery steps are taken by therespondents against the petitioner for recovery of the amountsconfirmed by Ext.P3 rectified order. It is stated by the learned counselfor the petitioner that the issue involved in the appeal pertains to dis-allowance of deduction claimed under Section 80P of the Income TaxAct. 2. I have heard the learned counsel appearing for the petitionerand also the learned Standing counsel appearing for the respondents. On a consideration of the facts and circumstances of the case asalso the submissions made across the Bar and taking note of the fact thatin similar matters, this Court has directed the Appellate Authority toconsider and pass orders in the appeal and stayed the recovery ofdisputed amounts pending disposal of the appeal, this Writ petition isdisposed directing the 3[rd] respondent to consider and pass orders onExt.P4 appeal within an outer time limit of six months. Recovery steps for recovery of amounts confirmed against the petitioner shall be kept inabeyance till such time as orders are passed by the 3[rd] respondent asdirected above and communicated to the petitioner. Sd/-A.K.JAYASANKARAN NAMBIAR JUDGE RKM APPENDIX PETITIONER'S EXHIBITS: EXHIBIT P1 A TRUE COPY OF THE ASSESSMENT ORDER FOR THE YEAR 2008-2009 DATED 28.3.2014 EXHIBIT P2 A TRUE COPY OF THE ORDER DATED 22.03.2018 IN ITA NO.18/TVM/CIT(A), TVM/2014-15 OF THE 2ND RESPONDENT EXHIBIT P3 A TRUE COPY OF THE ORDER DATED 15.10.2019 IN ITA NO.18/TVM/CIT(A)/TVM/2014-15, ISSUED BY THE 2ND RESPONDENT UNDER SECTION 154 OF THE INCOME TAX ACT EXHIBIT P4 A TRUE COPY OF THE APPEAL MEMORANDUM ALONG WITH AFFIDAVIT DATED 11.11.2019 AND CHELAN EXHIBIT P5 A TRUE COPY OF THE STAY PETITION FILEDALONG WITH EXT.P4 APPEAL DATED 11.11.2019
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