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2022 (8) TMI 291 - AT - Income Tax


Issues involved:
Grant of registration under section 12AA of the Income Tax Act, 1961.

Detailed Analysis:

1. Grounds of Appeal Raised by the Assessee:
The appellant challenged the order rejecting registration under section 12AA. The grounds of appeal included objections to the Commissioner's findings regarding the nature of the activities carried out by the appellant, the commercial aspect of the operations, and the charitable status of the stated objects and activities. The appellant contended that it was wrongly denied registration based on incorrect factual observations by the Commissioner.

2. Observations of the Commissioner of Income Tax (Exemptions):
The Commissioner noted that the appellant was acting as an intermediary between IMPACT and students, primarily collecting fees for coaching services. The Commissioner found the activities to be non-charitable, stating that coaching, even at a subsidized cost, was considered non-charitable. Consequently, the application for registration under section 12AA was rejected based on the perceived lack of charitable nature in the appellant's operations.

3. Arguments by the Appellant:
The appellant argued that it provided infrastructure and services to students, engaged specialized teachers for coaching, and had arrangements with a preparatory institute for student selection and training. The appellant disputed the Commissioner's characterization of no activity being carried out, emphasizing the charitable nature of its operations and the absence of profit-seeking motives.

4. Judicial Review by the ITAT:
The ITAT considered the main issue of whether the trust's activities were charitable and aligned with its stated objectives. It acknowledged the coaching activities but sought clarity on their charitable nature. The ITAT found discrepancies in the Commissioner's observations and granted the appellant an opportunity to present evidence supporting the genuineness of its charitable activities.

5. Decision and Directions by the ITAT:
The ITAT concluded that the rejection of registration was not in accordance with natural justice principles, as the appellant was not adequately heard and relevant submissions were allegedly ignored. Therefore, the matter was remanded to the Commissioner for a fresh examination. The ITAT directed the Commissioner to verify the charitable nature of the trust's objectives and activities, ensuring compliance with legal precedents and principles of natural justice.

6. Outcome:
The ITAT allowed the appeal for statistical purposes, indicating a procedural victory for the appellant. The case was remanded to the Commissioner for a fresh review, emphasizing the need for a fair assessment of the trust's charitable activities and alignment with legal requirements.

This detailed analysis highlights the key issues, arguments, observations, and the ITAT's decision regarding the grant of registration under section 12AA of the Income Tax Act, 1961, in the context of the specific case presented before the Appellate Tribunal.

 

 

 

 

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