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ISSK Employees Credit Co-Op Soc Ltd., Pune vs Principal Commissioner of Income-Tax -4 Pune

Case NumberITA 374/PUN/2022
Date of Filing19 May 2022
Case TypeIncome Tax Appeal|ITA
Last Hearing19 Dec 2022
State--
City--
Year of Filing2022

Party Details

Petitioner
  • ISSK Employees Credit Co-Op Soc Ltd., Pune
Respondent
  • Principal Commissioner of Income-Tax -4 Pune

Case Summary

ISSK Employees Credit Co-Op Soc Ltd., Pune vs Principal Commissioner of Income-Tax -4 Pune (Case No. ITA 374/PUN/2022) is listed in the Income Tax, filed on 19 May 2022. The case has undergone 2 hearings. The case is currently pending. 2 orders have been issued in this matter.

Hearing History (2)

  • 19DEC 2022
    Hearing

    Judge: N/A

  • Hearing

    Judge: N/A

Orders (2)

  • 20DEC 2022
    judgement

    Order No: N/A

    View Order ↗
  • 19DEC 2022
    order

    Order No: N/A

Judgement DetailsView full order PDF ↗

IN THE INCOME TAX APPELLATE TRIBUNAL PUNE BENCH “A”, PUNE BEFORE SHRI R.S.

SYAL, VICE PRESIDENT AND SHRI PARTHA SARATHI CHAUDHURY, JUDICIAL MEMBER Sl.

No.

ITA No.

Name of Appellant Name of Respondent Asst.

Year 1 303/PUN/2022 Pragati Gramin Bigarsheti Sahakari Patsanstha Maryadit, Ward No.2, Near Bajartul, Tal.

Purandhar, Dist.

Pune 412 102 PAN:AACAP1712H PCIT-4, Pune 2017-18 2 308/PUN/2022 Chairman Mahatma Phule Nagari Sahakari Patsanstha, Rohan Complex, Mahatma Phule Chowk, Sangole, Dist.

Solapur-413307 PAN:AAAAC1505F PCIT-4, Pune 2017-18 3 319/PUN/2022 Shree Choudeshwari Togatveer Kshatriya Nagari Sahakari Patpedhi Maryadit, 94/41, Jodbhavi Peth, Kanna Chowk, Solapur 413 002 PAN : AAAJS1987L PCIT-4, Pune 2017-18 4 325/PUN/2022 Dhanshree Mahila Gramin Bigarsheti Sahkari Patsanstha Ltd., Gokulbai Nivas, Sant Damaji Road, Shivpremi Chowk, Malgalweda, Solapur 413 305 PAN : AAAJD0435E PCIT-4, Pune 2017-18 5 330/PUN/2022 Shri Bruhanmath Hotagi Shaikshanik Sanstha, Karmchari Sahkari Patpedi Marya, 84, Bhavani Peth, Solapur 413 002 PAN:AAGAS0646H PCIT-4, Pune 2017-18 6 332/PUN/2022 Baramati Taluka Sahakari Phalupadan Sangh, At Pipmali, Post Pipmali, Taluka Baramati, Dist Pune 413102 PAN:AAATB5269Q PCIT-4, Pune 2017-18 7 349/PUN/2022 Chhatrapati Sambhaji Maharaj Sahkari Pat Sanstha Maryadit, At Post Pimpode Budruk, Tal.

Koregaon, Satara – 415 525 PAN : AAAAC0993P PCIT-3, Pune 2017-18 80P group 2 8 351/PUN/2022 Keshavsmruti Nagari Sahakari Patpedhi Ltd., 102/103, Aaditya Vihar CHS, Mahatma Phule Road, Panvel 410206 PAN:AAAAK7390L PCIT-1, Thane 2017-18 9 352/PUN/2022 Kundalika Nagari Sahakari Patsanstha Maryadit, Ground Floor, Varun Apartment, Near Bhate Vachanalya, Sonar Ali, Roha 402109 PAN:AACAK6478R PCIT-1, Thane 2017-18 10 353/PUN/2022 Hindalco Employees Co.op Credit Society Ltd., C/o.

Hindalco Ind Ltd., P.Box No.5, Plot No. , Plot No.2, Taloja-410208 PAN:AAAJH0270M PCIT-1, Thane 2017-18 11 356/PUN/2022 Hinglajmata Nagri Sahakari Patsanstha Maryadit, 21/22, Vidya Niketan Prashala, Sakhar Peth, Solapur 413 003 PAN:AAAAH1509C PCIT-4, Pune 2017-18 12 358/PUN/2022 Castlemaine Premises Co.op Society Ltd., Godrej Castlemaine, 42, Sasoon Road, Next to Ruby Hall Clinic, Pune 411001 PAN:AAAAC5155H PCIT-4, Pune 2017-18 13 367/PUN/2022 Hanumantrao Choudhari Kalbhairavnath Nagari Sahakari Patsanstha Maryadit, Kunjirwadi, Near Naigaon Phata, Solapur Road,Tal.

Haveli, Dist.

Pune-412 110 PAN:AAAAH2316R PCIT-4, Pune 2017-18 14 368/PUN/2022 Manmandir Nagari Sahakari Pathasanstha Maryadit, Manmandir Building, Vita Karad Road, Vita, Sangli – 415 311 PAN: AAAAM0519R PCIT-1, Pune 2017-18 15 374/PUN/2022 ISSK Employees Credit Co.op Society Limited, Mahatma Phule Nagar, Bijwadi, Tal.Indapur, Dist.

Pune – 413 106 PAN:AAAAI0101K PCIT-4, Pune 2017-18 80P group 3 16 385/PUN/2022 M/s.

Kamal Mahila Nagari Sahakari Patpedhi Marydit, Ground Floor, Shree Krishna Niwas, Tilak Road, Panvel 410206 PAN : AAATK8008L PCIT-1, Thane 2017-18 17 391/PUN/2022 Kolhapur Zilla Pradhyapakanchi Sahakari Pat Sanstha Maryadit, 1735 C-Ward, C/o.

Suta Office, Hattimahal Road, Laxmipuri, Kolhapur 416 002 PAN:AAAAK4121D PCIT-1, Pune 2017-18 18 395/PUN/2022 M/s.

Kamal Nagari Sahakari Patsanstha Ltd., Kamal Bhavan, Shivaji Road, Alibag, Dist.

Raigad 402 201 PAN : AAAJK0269P PCIT-1, Thane 2017-18 19 396/PUN/2022 B.G.

Shirke Employees Cooperative Credit Society Limited, 72-76, Industrial Estate, Mundhawa Road, Pune 411 036 PAN:AAAAB4805H PCIT-4, Pune 2017-18 20 397/PUN/2022 Jambut Gramin Bigarsheti Sahkari Patsanstha Maryadit, 1 At Post Jambut, Tal.

Shirur, Dist.

Pune Pincode 410504 PAN: AAAAJ5715E PCIT-4, Pune 2017-18 21 398/PUN/2022 Mandavgan Pharata Vividhkaryakari Seva Sahakari Sanstha Maryadit, Mandavgan Pharata, Dist.

Pune, Shirur 412 211 PAN : AAAAM5026D PCIT-4, Pune 2017-18 Assessee(s) by Shri Nikhil S.

Pathak & Shri Ajinkya M.

Ajinkya M.

Vishampayan Shri Kishor Phadke, Shri P.S.

Shingte Shri Girish Dave & Shri Tanzil R.

Padvekar Shri Piyush Bafna & Shri Aakash Parakh Revenue by Shri Keyur Patel, CIT-DR Date of hearing 19-12-2022 Date of pronouncement 20-12-2022 80P group 4 आदेश / ORDER PER BENCH: All the above appeals have been preferred by different assessees in relation to the A.Y.2017-18 agitating the passing of the order by the ld.

Principal Commissioner of Income-tax (PCIT) u/s.263 of the Income-tax Act, 1961 holding that the grant of deduction u/s.80P by the Assessing Officer (AO) in respect of interest income earned from other credit cooperative societies or Nationalised banks led to the passing of erroneous assessment orders prejudicial to the interest of the Revenue.

2.

In two appeals, there is a delay of 4 days (ITA No.

368/PUN/2022) and 12 days (ITA No.

391/PUN/2022) in presenting the appeals before the Tribunal.

Prima-facie, the delay pertains to the covid-19 pandemic period prevailed across the country.

Therefore, the said delay is condoned, admitting the appeals for disposal of merits, by virtue of the judgment of the Hon’ble Supreme Court in Cognizance for Extension of Limitation, In re 438 ITR 296 (SC) read with judgment in Cognizance for Extension of Limitation, In re 432 ITR 206 (SC) dated 08-03-2021 and 421 ITR 314.

80P group 5 3.

Succinctly, the facts in all these cases are that the assesses filed returns claiming deduction u/s.80P in respect of interest income which was allowed by the AO.

The ld.

PCIT invoked the jurisdiction u/s 263 of the Act and disputed the allowability of the claim of deduction u/s.80P(2)(a)(i) in some cases and under 80P(2)(d).

Aggrieved thereby, the assessees have approached the Tribunal.

4.

We have heard the rival submissions and gone through the relevant material on record.

Insofar as the allowability of deduction u/s. ction u/s.8P(2)(a)(i) is concerned, we find that the Pune Benches of the Tribunal in Sureshdada Jain Nagari Sahakari Patsanstha Maryadit Vs.

The Pr.CIT (ITA No.713/PUN/2016) decided the question of availability of deduction u/s 80P on interest income by noticing that the Pune Bench in an earlier case of Shri Laxmi Narayan Nagari Sahakari Pat Sanstha Maryadit Vs.

ITO (ITA No.604/PN/2014) has allowed similar deduction.

In the said case, the Tribunal discussed the contrary views expressed by the Hon’ble Karnataka High Court in Tumkur Merchants Souharda Credit Cooperative Ltd.

Vs.

ITO (2015) 230 Taxman 309 (Kar.) allowing deduction u/s.

80P on interest income and that of the Hon’ble Delhi High Court in Mantola Cooperative Thrift Credit Society Ltd.

CIT (2014) 110 80P group 6 DTR 89 (Delhi) not allowing deduction u/s.80P on interest income earned from banks.

Both the Hon’ble High Courts took into consideration the ratio laid down in the case of Totgar’s Cooperative Sale Society Ltd. (supra).

No direct judgment from the Hon’ble jurisdictional High Court on the point having been pointed out, the Tribunal in Shri Laxmi Narayan Nagari Sahakari Pat Sanstha Maryadit (supra) preferred to go with the view in favour of the assessee by the Hon’ble Karnataka High Court in the case of Tumkur Merchants Souharda Credit Cooperative Ltd. (supra).

The position continues to remain the same before this Tribunal also.

5.

Reliance of the ld.

Pr.

CIT in some of the cases under consideration on the decision of Pr.

CIT and Another Vs.

Totagars Cooperative Sales Society (2017) 395 ITR 611 (Kar.) is not relevant.

The issue in that case was the eligibility of deduction u/s.80P(2)(d) of the Act on interest earned by the assessee co- operative society on investments made in co-operative banks.

In that case, the assessee was engaged in the activity of marketing agricultural produce by its members; accepting deposits from its members and providing credit facility to its members; running stores, ri stores, rice mills, live stocks, van section, medical shops, lodging, 80P group 7 plying and hiring of goods and carriage etc.

It was in that background of the facts that the Hon’ble High Court held that the assessee could not claim deduction u/s.80P(2)(d) of the Act.

When we consider the effect of this decision, it turns out that the same is not germane to case under consideration in view of the position that the primary claim of the extant assessee is directly about the eligibility of deduction u/s.80P(2)(a)(i) of the Act.

6.

Coming to the cases of eligibility of deduction u/s.80P(2)(d), the respective assessees are Cooperative credit societies engaged in providing credit facilities to its members.

PCIT has held the assessment order to be erroneous and prejudicial to the interest of the Revenue only on the ground that the claim of deduction u/s.80P on interest income was not in order.

In this regard, it is observed that though co-operative banks, other than primary agricultural credit society or a primary co-operative agricultural and rural development bank, are not eligible for deduction pursuant to insertion of section 80P(4) w.e.f.

1.4.2007, but this provision does not dent the otherwise eligibility u/s 80P(2)(d) of the Act of a co- operative society on interest income on investments/deposits parked with a co-operative bank, which is a registered co-operative society as per section 2(19) of the Act, defining co-operative society 80P group 8 to mean a co-operative society registered under the Co-operative Societies Act, 1912 or under any law for the time being in force.

The assessees are also Co-operative society registered.

7.

Similar view has been taken by the Pune Benches of the Tribunal in several cases including The Sesa Goa Employees Coop.

Credit Society Ltd.

ACIT (ITA No.203/PUN/2019, order dated 16-11-2022).

8. -2022).

8.

In view of the fact that the Pune Benches of the Tribunal in series of decisions have held that the assessees are entitled to deduction u/s.80P(2)(a)(i)/80P(2)(d) in respect of interest income, we hold that the impugned orders cannot be sustained.

All the orders are, therefore, overturned.

9.

In the result, all the appeals are allowed.

Order pronounced in the Open Court on 20th December, 2022.

Sd/- Sd/- (PARTHA SARATHI CHAUDHURY) (R.S.SYAL) JUDICIAL MEMBER VICE PRESIDENT पुणे Pune; दनांक Dated : 20th December, 2022 Satish 80P group 9 आदेश क त ल प अे षत/Copy of the Order is forwarded to: 1. अपीलाथ / The Appellant; 2. यथ / The Respondent; 3.

The CIT(A) concerned The CIT concerned िवभागीय ितिनिध, आयकर अपीलीय अिधकरण, पुणे “A” / DR ‘A’, ITAT, Pune 6. गाड फाईल / Guard file आदेशानुसार/ BY ORDER, // True Copy // Senior Private Secretary आयकर अपीलीय अिधकरण ,पुणे / ITAT, Pune Date 1.

Draft dictated on 19-12-2022 Sr.PS 2.

Draft placed before author 20-12-2022 Sr.PS 3.

Draft proposed & placed before the second member JM 4.

Draft discussed/approved by Second Member.

JM 5.

Approved Draft comes to the Sr.PS/PS Sr.PS 6.

Kept for pronouncement on Sr.PS 7.

Date of uploading order Sr.PS 8.

File sent to the Bench Clerk Sr.PS 9.

Date on which file goes to the Head Clerk 10.

Date on which file goes to the A.R.

11.

Date of dispatch of Order. *