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Case Name : Thorapadi Urban Co-op Credit Society Limited Vs ITO (Madras High Court)
Related Assessment Year :
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Thorapadi Urban Co-op Credit Society Limited Vs ITO (Madras High Court) Conclusion: Deduction under section 80P(2)(d) was allowable on receipt of interest from co-operative bank as a Co-operative Society was only a co-operative society as defined under the Act, be it a Co-operative Society carrying on banking business or Co-operative Society carrying on the other businesses or a Co-operative bank. Held: The main issue was to decide in the present case was as to whether assessee-co-operative society was entitled for a deduction under Section 80P(2)(d) for the interest income received from the C...
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