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Issues:
Challenge to order under section 260A of the Income-tax Act, 1961 for the assessment year 1990-91 regarding benefit of section 10(22) exemption. Analysis: 1. The appeal challenged the order passed by the Income-tax Appellate Tribunal related to the benefit of section 10(22) of the Income-tax Act, 1961 for the assessment year 1990-91. The issue was whether the assessee's work related to the performance of a contract or providing regular education for learning Russian language. The Assessing Officer made additions and denied the benefit of section 10(22), but the Tribunal allowed the appeal, granting relief to the appellant for the assessment year 1990-91 and other years. 2. The Tribunal held that the appellant society was engaged in educational activities and entitled to exemption under section 10(22). Registration under section 12A(a) was not necessary for exemption under section 10(22). The appellant's activities included setting up an Institution of Russian Studies, running a school of paramedical education, and donating money to educational institutions. The surplus funds were to be used for educational purposes, and the trustees did not benefit personally. The Tribunal found that the appellant fulfilled the requirements of section 10(22) by carrying out educational activities for educational purposes. 3. The High Court upheld the Tribunal's findings, stating that the appellant was indeed engaged in educational activities related to learning the Russian language. The Court declined to interfere with the finding of fact concurrently recorded by the First Appellate Authority and the Tribunal. 4. Additionally, it was noted that for other assessment years, the appeal by the Department against the Tribunal's order had already been dismissed by another Division Bench of the Court. The Court found no merit in the appeal and dismissed it accordingly.
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