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2025 (4) TMI 327 - AT - Income Tax


ISSUES PRESENTED and CONSIDERED

The primary issue considered in this judgment is whether a trust created before 01-04-2021 can be denied registration under section 12AB of the Income Tax Act, 1961, by invoking the provisions of Section 13(1)(b) of the Act. Specifically, the question is whether the charitable activities of the Trust, which are restricted to the benefit of a particular community, disqualify it from obtaining such registration and subsequent exemption under section 11 of the Act.

ISSUE-WISE DETAILED ANALYSIS

Relevant Legal Framework and Precedents

The legal framework involves Section 12AB of the Income Tax Act, which pertains to the registration of trusts for tax exemption purposes, and Section 13(1)(b), which restricts exemptions for trusts created for the benefit of a particular religious community or caste. The Tribunal considered precedents, including the jurisdictional High Court judgment in CIT(E) vs. Jamiatul Banaat Tankaria and CIT v. Bayath Kutchhi Dasa Oswal Jain Mahajan Trust, which clarified the application of Section 13(1)(b) at the time of assessment rather than registration.

Court's Interpretation and Reasoning

The Tribunal interpreted that the provisions of Section 13(1)(b) are relevant only at the time of granting exemption under Section 11, not at the time of registration under Section 12A. The Tribunal relied on the precedent set by the Hon'ble Supreme Court in Dawoodi Bohara Jamaat, which held that the applicability of Section 13(1)(b) is determined during the assessment phase, based on the actual expenditure for religious and common purposes.

Key Evidence and Findings

The Tribunal reviewed the objects of the Trust, which included activities for the development of a specific community, Gohilwad Vankar Samaj, and other activities aimed at the public at large. The Tribunal found that the Trust had mixed objects, some of which were charitable in nature and not confined to a particular community.

Application of Law to Facts

The Tribunal applied the legal principles established in previous judgments to the facts of the case, concluding that the Trust's objects were not wholly for the benefit of a particular religious community. Therefore, Section 13(1)(b) should not be invoked at the registration stage under Section 12A.

Treatment of Competing Arguments

The Tribunal addressed the Revenue's argument that the Trust's activities were restricted to a particular community, which would invoke Section 13(1)(b). However, the Tribunal emphasized that the applicability of Section 13(1)(b) is a matter for the assessment phase, where the actual benefit to a particular community is evaluated.

Conclusions

The Tribunal concluded that the Trust's objects, while including some community-specific activities, were largely charitable and for the general public. Therefore, the Trust should be granted registration under Section 12AB, and the applicability of Section 13(1)(b) should be assessed later.

SIGNIFICANT HOLDINGS

The Tribunal held that Section 13(1)(b) is applicable only during the assessment phase when determining eligibility for exemption under Section 11, not at the registration stage under Section 12A. The Tribunal directed the CIT (Exemption) to grant the Trust final registration under Section 12AB, allowing the appeal by the assessee.

Core Principles Established

The judgment reinforced the principle that the applicability of Section 13(1)(b) should be assessed during the assessment phase, based on actual expenditures and benefits, rather than at the registration stage. This principle aligns with the precedents set by higher courts, emphasizing the separation of registration and exemption considerations.

Final Determinations on Each Issue

The Tribunal determined that the Trust should not be denied registration under Section 12AB based on the applicability of Section 13(1)(b) at this stage. The Tribunal allowed the appeal, directing the CIT (Exemption) to grant registration while providing an opportunity for the assessee to be heard.

 

 

 

 

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