accepting deposits and extending loan facilities to the members under various heads, which are essentially stated as in relation to agricultural activities. There is a contention that, the petitioner Bank is an Agricultural Credit Society for the purpose of Banking Regulation Act 1949 and by virtue of Section '3', it is excluded from the purview of Banking Regulation Act ( which will be dealt with in the due course). By virtue of Section 133(6) of the Income Tax Act, 1961, the Department has power to call for information in relation to such points or matters which would be useful for, or relevant to any proceeding under the Act, from 'any person' including a 'Banking Company' or 'any Officer' thereon. Later, an amendment was introduced as per the Finance Act, 1995 whereby, the words “enquiry or” were inserted before the word “proceeding” in Section 133(6), also adding the '2nd proviso' to the said provision, with effect from 1.7.1995. The effect of the said amendment is that, the power to call for information under the unamended Act, which was confined only in relation to a 'pending proceeding' came to be widened, and even in a case where no proceeding was pending, such information could be