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2014 (1) TMI 933 - AT - Income Tax


Issues:
1. Rejection of registration under section 12A and approval under section 80G by the Director of Income Tax (Exemptions), Hyderabad.
2. Consideration of commencement of activity, specificity of objects, mixed charitable and religious objects, and business activities in determining registration eligibility.

Issue 1: Rejection of Registration under Section 12A and Approval under Section 80G:
The appeal was against the Order rejecting the assessee's application for registration under section 12A and approval under section 80G of the Act. The rejection was based on the grounds that the trust had not commenced any activity as per the trust deed, and the specific objects mentioned in the trust deed were not considered charitable. The rejection was also influenced by the presence of mixed charitable and religious objects in the trust deed, as well as the provision allowing trustees to engage in business activities.

Analysis: The rejection was challenged on the basis that commencement of activity should not be a decisive factor for registration under section 12A. Legal precedents from the Hon'ble Karnataka High Court and Hon'ble Gujarat High Court were cited to support this argument. The contention was that the presence of mixed charitable and religious objects should not automatically disqualify a trust from registration. The Hon'ble Madras High Court's decision was referenced to emphasize that a trust of a religious nature can still be eligible for registration under section 12A. The objections raised regarding the specificity of objects and business activities were deemed vague and lacking a proper basis. It was argued that the Director of Income Tax (Exemptions) did not provide adequate opportunity for the assessee to address these concerns, leading to a mechanical rejection without due consideration.

Issue 2: Consideration of Commencement of Activity, Specificity of Objects, Mixed Charitable and Religious Objects, and Business Activities:
The Director of Income Tax (Exemptions) rejected the application primarily due to the trust not commencing activities, lack of specificity in objects, presence of mixed charitable and religious objects, and provision for business activities. The rejection was based on the belief that these factors hindered the trust's eligibility for registration under section 12A.

Analysis: The Tribunal disagreed with the Director's reasoning, stating that the commencement of activity should not be a prerequisite for registration, especially for a new trust. Legal authorities were cited to support the view that the presence of mixed charitable and religious objects should not automatically disqualify a trust. The Tribunal found the objections regarding specificity of objects and business activities to be unsubstantiated and lacking a proper basis. It was noted that the Director did not provide sufficient opportunity for the assessee to address these concerns, leading to an unjustified rejection. As a result, the Tribunal set aside the Director's Order and remitted the matter for reconsideration, emphasizing the need for a fair hearing and proper consideration of all relevant factors.

In conclusion, the Tribunal found the rejection of the registration under section 12A and approval under section 80G to be unjustified and lacking proper basis. The Tribunal emphasized the importance of a fair hearing and thorough consideration of all relevant aspects before making a decision on registration eligibility. The appeal of the assessee was allowed for statistical purposes, and the matter was remitted back for reconsideration in light of the Tribunal's observations.

 

 

 

 

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