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Issues:
Validity of reassessments and completion within prescribed time. Review of entire assessments by Income-tax Officer. Compliance with provisions of section 11 for application of income for charitable purposes. Analysis: The case involved a consolidated statement for assessment years 1965-66 to 1967-68, with questions referred to the court regarding the validity of reassessments, review of assessments by the Income-tax Officer, and compliance with section 11 for charitable purposes. The Tribunal upheld that the crediting by the charitable institution amounted to an application of income. The Commissioner of Income-tax (Appeals) and the Tribunal found that there were actual withdrawals by the charitable institution, supporting the application of income. The Tribunal concluded that income was applied for charitable purposes, and the additions made by the Revenue could not be sustained. The Revenue challenged the Tribunal's decision, arguing that mere crediting in the books did not constitute an application of income. However, the court noted that the educational institution had withdrawn the credited amounts, indicating a genuine application of income. The court emphasized that the Revenue did not challenge the ownership of the credited amounts or their utilization by the assessee, leading to the conclusion that there was a valid application of income. Referring to previous decisions, the court confirmed that there was no infirmity in the Tribunal's finding of a valid application of income. The court reframed the question of law to address the validity of income application during the relevant assessment years and answered it in the affirmative, against the Department. As the court upheld the Tribunal's decision on the merits, it deemed it unnecessary to address the other questions referred by both the assessee and the Department. Consequently, no costs were awarded in the case.
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