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Issues involved:
The issue involves the entitlement to exemption u/s 11 of the Income Tax Act for an assessee trust for assessment years 2004-05 and 2005-06. Summary: Entitlement to Exemption u/s 11: The Director of Income Tax (Exemption) filed tax appeals u/s 260A of the Income Tax Act, proposing the question of law on whether the assessee trust is entitled to exemption u/s 11. The assessment for both years resulted in additions due to disallowance of exemption u/s 11. The C.I.T. (Appeals) allowed the assessee's appeals, holding the trust entitled to exemption u/s 11. The Tribunal upheld the C.I.T. (Appeals) decision. The revenue contended that the Tribunal overlooked a judgment by the Apex Court regarding the trust's purpose being the propagation of the Jain religion. The respondent argued that once registered u/s 12AA, the Assessing Officer cannot deny exemption u/s 11. The Court noted that when registration is granted u/s 12AA, exemption cannot be denied u/s 11. The trust's activities were found to benefit the public at large, including charitable and religious endeavors. The Tribunal observed the trust's engagement in charitable activities and spreading Jain philosophy. The Court found no substantial question of law and dismissed the appeals. Conclusion: The High Court of Gujarat dismissed the appeals as no substantial question of law arose from the Tribunal's order regarding the entitlement to exemption u/s 11 for the assessee trust.
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