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2011 (4) TMI 1463 - AT - Income Tax

Issues Involved: Appeal against CIT(Appeals) orders regarding exemption u/s 10(23C)(vi) and other related issues.

Exemption u/s 10(23C)(vi): The appellant, an educational institution, claimed exemption u/s 10(23C)(vi) based on its status as a subsidiary of an American association and its operations in India. The CIT(Appeals) rejected the claim citing previous decisions. However, the appellant challenged this decision based on subsequent developments, including a Supreme Court order and a High Court judgment directing the authorities to reconsider the approval application and monitoring conditions. The High Court upheld the conditions imposed by the CBDT but directed the authorities to allow a reasonable period for compliance. The ITAT agreed with the appellant's contention and set aside the issue for fresh adjudication by the AO in line with the High Court's directions.

Fresh Adjudication: The ITAT directed the AO to determine the surplus, grant adequate opportunity to the assessee, and provide a reasonable period for compliance with monitoring conditions. The AO's previous order did not align with the High Court's directives, necessitating a denovo assessment in accordance with the law and the court's instructions. The appeals were allowed for statistical purposes, emphasizing the need for proper adherence to legal procedures and court directives in tax matters.

Conclusion: The ITAT Mumbai, in a 2011 judgment, addressed appeals related to exemption claims u/s 10(23C)(vi) and other issues. The decision highlighted the importance of following court directives and ensuring proper adjudication in tax matters, emphasizing compliance with legal provisions and monitoring conditions.

 

 

 

 

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