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2021 (2) TMI 1089 - AT - Income Tax


Issues:
Grant of approval under section 80G(5)(vi) of the Income Tax Act, 1961.

Analysis:
The appellant trust, formed with various charitable objects, had applied for approval under section 80G(5)(vi) of the Act after being granted registration under section 12AA. The Commissioner of Income Tax (Exemption) denied approval based on concerns regarding the ownership of the premises, shared operation with other trusts, lack of audited accounts, and alleged lack of genuineness in charitable activities. The appellant challenged this decision, arguing that all conditions under section 80G(5)(vi) were met, and the Commissioner had no grounds to question the trust's activities. The Tribunal noted that the Act does not require the trust to own the premises from which it operates for approval. Additionally, the absence of audited accounts does not automatically invalidate the trust's activities, especially when it holds registration under section 12AA. Referring to legal precedent, the Tribunal emphasized that the scope of inquiry under section 80G(5)(vi) does not extend to assessing income. Consequently, the Tribunal directed the Commissioner to grant approval under section 80G(5)(vi) to the appellant trust, allowing the appeal.

This judgment clarifies the criteria for granting approval under section 80G(5)(vi) of the Act, emphasizing that ownership of premises is not a mandatory condition for approval. It underscores that lack of audited accounts does not inherently discredit a trust's activities, particularly when holding registration under section 12AA. The Tribunal's decision highlights the limited scope of inquiry under section 80G(5)(vi) and the importance of adhering to statutory conditions without introducing additional requirements.

 

 

 

 

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