BROACH DISTT. CO-OPERATIVE COTTON SALES GINNING & PRESSING SOCIETY LTD. versus COMMISSIONER OF INCOME TAX, AHMEDABAD.

BROACH DISTT. CO-OPERATIVE COTTON SALES GINNING & PRESSING SOCIETY LTD. versus COMMISSIONER OF INCOME TAX, AHMEDABAD.

Ginning and pressing of raw cotton is part of the integral process of marketing conducted by the co-operative society, and profits from such activity are exempt under section 81(i)(c). The proviso to section 81(i) does not apply as the activity is not separate or distinct from marketing; High Court erred in its...

Source-derived case information.

Parties
Appellant: Broach Disti. Co-operative Cotton Sales Ginning & Pressing Society Ltd.; Respondent: Commissioner of Income Tax, Ahmedabad
Jurisdiction
India
Procedural Posture
Civil Appeal / Decision on Appeal From High Court Judgment
Outcome
Appeals allowed
Legal Topics
Exemption for Co Operative Societies, Marketing of Agricultural Produce, Processing With Aid of Power, Section 81(i)(c)
Income Tax Exemption for Co Operative Societies Marketing of Agricultural Produce Processing With Aid of Power Section 81(i)(c)

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Parties

Broach Disti. Co-operative Cotton Sales Ginning & Pressing Society Ltd.

Appellant

Commissioner of Income Tax, Ahmedabad

Respondent

Procedural Posture

Civil Appeal / Decision on Appeal From High Court Judgment

  1. 1 Whether income from ginning and pressing by a co-operative society is exempt under section 81(i)(c) of Income Tax Act, 1961

Ratio Decidendi

Ginning and pressing of raw cotton is part of the integral process of marketing conducted by the co-operative society, and profits from such activity are exempt under section 81(i)(c). The proviso to section 81(i) does not apply as the activity is not separate or distinct from marketing; High Court erred in its interpretation.

Court Disposition

Appeals allowed

Orders

  • The question referred must be answered in the affirmative, in favour of assessee and against Revenue.
  • The assessee is entitled to its costs.