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2019 (6) TMI 1629 - AT - Income TaxExemption u/s 11 - registration u/s 12AA - proof of charitable activity u/s 2(15) - denial of registration by the Ld. CIT is that in the absence of Balance sheet Income Expenditure Receipts Payments accounts thus difficult to verify genuineness and nature of activities - assessee trust was further asked to provide a rationale why registration should be granted in the absence of any apparent charitable activity being pursued - HELD THAT - In our view the trust that at the time of filing application for registration was un-doubtly at nascent stage and has not carried out any activity therefore one can not expect from the trust to do activity of the charity immediately. As at the time of registration u/s 12AA of the Act the Ld. CIT(E) is required to see the objects of the trust or institutions and genuineness of its activities however if we come to the instant case then it is not disputed that the trust was formed and created only on 22.01.2015 and immediately within one year of its creation the application for registration u/s 12AA of the Act has been filed on 30.11.2015 which has been rejected vide impugned order dated 26/05/2016 so it is not in controversy that the assessee trust at the time of applying the registration was at nascent stage therefore could not carry out any activity. Opinion at the time of disposal of application the Ld. CIT(E) in order to satisfy himself about the genuineness of the activities of the trust or institution can call for such documents or information from the trust or institution as he thinks necessary and also empowered to make such enquiry as he may deem fit necessary in this behalf secondly that after satisfying himself about the object of the trust or institution and the genuineness of the activities he shall pass the order in writing either to register or refusing to register the trust or institutions. In the instant case no activity was carried out therefore question of genuineness did not arise. Finally in our considered opinion as at the time of applying the registration the assessee trust has not carried out many activities and even otherwise it cannot be expected so at the nascent stage therefore the assessee trust is entitled to get registration u/s 12AA of the Act from the date of application hence we direct the Ld. CIT(E) to grant the registration u/s 12A of the Act to the assessee. - Decided in favour of assessee.
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