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2008 (7) TMI 621 - AT - Income Tax


Issues Involved:
1. Denial of exemption under section 11(1)(a) of the Income-tax Act, 1961.
2. Interpretation of section 11(1)(a) regarding mixed charitable and religious activities.
3. Validity of Assessing Officer's examination of trust's objects post-registration under section 12A.
4. Applicability of the Jammu & Kashmir High Court decision in Ghulam Mohidin Trust v. CIT.

Issue-wise Detailed Analysis:

1. Denial of Exemption under Section 11(1)(a):
The primary issue was whether the assessee trusts, engaged in both charitable and religious activities, were entitled to exemption under section 11(1)(a) of the Income-tax Act, 1961. The Assessing Officer denied the exemption on the grounds that the trusts were involved in mixed activities, both charitable and religious, and thus did not qualify for exemption under section 11(1)(a).

2. Interpretation of Section 11(1)(a):
The Assessing Officer and CIT(A) interpreted section 11(1)(a) to mean that exemption could only be granted to trusts wholly engaged in either charitable or religious activities, not both. The CIT(A) supported this interpretation by emphasizing the disjunctive use of the word "or" in the section, arguing that reading "or" as "and" would render section 11(1)(b) meaningless, which provides exemption for trusts created before 1-4-1962 with mixed activities.

3. Validity of Assessing Officer's Examination Post-Registration:
The assessee argued that once registration under section 12A was granted, the Assessing Officer could not re-examine the objects of the trust. The ITAT agreed, stating that the Assessing Officer's role was limited to ensuring compliance with section 13 of the Act and could not probe the objects of the trust, which was within the exclusive jurisdiction of the CIT during the registration process.

4. Applicability of Ghulam Mohidin Trust Decision:
The Assessing Officer relied on the Jammu & Kashmir High Court decision in Ghulam Mohidin Trust v. CIT, which held that a trust with mixed charitable and religious objects could not claim exemption under section 11(1)(a). However, the ITAT found this precedent inapplicable to the present cases. In Ghulam Mohidin Trust, the discretion to apply income to non-charitable purposes was a key factor, whereas in the present cases, the trusts' activities were for the general public benefit and did not include non-charitable purposes.

Conclusion:
The ITAT concluded that both assessees were eligible for exemption under section 11 of the Act. The interpretation that trusts must be wholly charitable or wholly religious was rejected. The ITAT emphasized that the primary or dominant purpose of the trust should be considered, and incidental religious activities did not disqualify the trusts from exemption. The orders of the CIT(A) were set aside, and the Assessing Officer was directed to grant the exemption under section 11 to both assessees.

 

 

 

 

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