Home
Issues Involved:
1. Whether the objects of the trust are charitable in nature under section 2(15) of the Income-tax Act. 2. Whether the trust is eligible for registration under section 12AA of the Income-tax Act. Issue-wise Detailed Analysis: 1. Whether the objects of the trust are charitable in nature under section 2(15) of the Income-tax Act: The assessee, a trust constituted on August 22, 2008, applied for registration under section 12A of the Income-tax Act. The Director of Income-tax (Exemption) questioned the charitable nature of the trust's objects, especially sub-clauses 11, 12, and 13 of clause 4, which pertain to addressing housing needs, printing books, and providing guidance on residence needs. The Director found these objects vague and not precisely defined as charitable. The Tribunal reviewed the trust deed and noted that the totality of clause 4's sub-clauses, which include providing medical relief, educational grants, and support for the needy, clearly indicate charitable purposes. Even the contentious sub-clauses 11, 12, and 13 were found to be charitable, as they aim to benefit the needy without profit motive. The Tribunal referenced the Supreme Court's decision in Gangabai Charities [1992] 197 ITR 416, where the lack of specific charitable intent led to denial of exemption. However, in the present case, the trust's intent to use profits for charitable purposes was clear. The Tribunal also cited the Madras High Court's decision in CIT/CWT v. Babulal Khinchand Trust [2000] 243 ITR 790, affirming that the trust's property and income must be applied solely for charitable purposes. The Tribunal concluded that the trust's objects are charitable in nature, as they aim to benefit the needy and weaker sections of society without profit motive. 2. Whether the trust is eligible for registration under section 12AA of the Income-tax Act: Section 12A of the Act requires that a trust must apply for registration within one year from its creation. The assessee applied for registration on September 23, 2008, within the stipulated period. The Director of Income-tax (Exemption) rejected the application, citing the vagueness of the trust's objects. The Tribunal examined the trust deed and found that the objects are charitable in nature. The Tribunal emphasized that the intention of the trust is crucial in determining eligibility for registration. The trust's objects, including providing housing, printing educational materials, and supporting the needy, align with charitable purposes as defined under section 2(15) of the Act. The Tribunal directed the Director of Income-tax (Exemption) to grant registration to the assessee, as the trust's objects are charitable and there is no profit motive. The Tribunal's decision is supported by the certificate of charity granted by the Assistant Commissioner of Charity, Greater Mumbai. Conclusion: The Tribunal allowed the appeal in part, directing the Director of Income-tax (Exemption) to grant registration to the assessee under section 12A read with section 12AA of the Income-tax Act. The order was pronounced on December 10, 2009.
|