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2024 (10) TMI 85 - AT - Income Tax


Issues:
Challenge of rejection of application u/s 12A(1)(ac) (iii) of the Act and non-granting of approval u/s 80G (5) of the Act.

Analysis:
The assessee challenged the rejection of their application for registration u/s 12A(1)(ac) (iii) of the Act and the consequential non-granting of approval u/s 80G (5) of the Act. The Commissioner of Income Tax (Exemption) rejected the application citing lack of proof regarding the activities being carried out by the trust. The Commissioner's conclusion of lack of satisfaction about the genuineness of the activities was deemed unsustainable. The appellant contended that the rejection was based on incorrect appreciation of facts and lacked proper opportunity for the appellant, violating principles of natural justice. The appellant sought to quash the Commissioner's order and obtain registration under u/s 12A(1)(ac) (iii) of the Act.

The assessee filed an application seeking registration u/s 12A(1)(ac) (iii) of the Act, which was rejected by the Commissioner due to perceived lack of proof of activities being carried out by the trust. The rejection was based on the trust's limited activities due to fund restrictions and the absence of evidence supporting compliance with the memorandum of association. Subsequently, the application u/s 80G of the Act was also rejected by the Commissioner. The appellant argued that they had submitted financial statements and documents demonstrating compliance with the objects of the society, emphasizing that the Commissioner failed to consider these submissions.

The appellant relied on various judgments to support their case, asserting that the Commissioner should assess the genuineness of the trust's charitable nature and proposed activities rather than the actual activities conducted. The Departmental Representative, however, highlighted the appellant's admission of limited activities due to fund constraints, supporting the rejection of the application. After hearing both parties, the Tribunal found that the Commissioner did not adequately consider the documents provided by the appellant, including balance sheets, society registration, and memorandum copies. The Tribunal referred to a Supreme Court case to emphasize the need to assess the trust's charitable nature and directed the matter to be reconsidered by the Commissioner, granting the appellant another opportunity to present their case.

In conclusion, the Appeals filed by the assessee were partly allowed for statistical purposes, and the matter was remanded to the Commissioner for fresh consideration based on the documents provided by the appellant.

 

 

 

 

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