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Navigating the Registration Process u/s 80G: Insights from the ITAT Ruling


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Comprehensive Analysis of the ITAT Judgment on Section 80G Registration

Reported as:

2024 (3) TMI 941 - ITAT KOLKATA

Introduction

This article provides a detailed analysis of a recent judgment delivered by the Income Tax Appellate Tribunal (ITAT) concerning the registration process u/s 80G of the Income Tax Act, 1961. The judgment clarifies the time limits and procedures for obtaining provisional and final approval for claiming tax exemption on donations received by charitable institutions.

Arguments Presented

The case revolves around an assessee (a charitable institution) that had applied for final approval u/s 80G(5)(iii) of the Act after obtaining provisional approval u/s 80G(5)(iv). However, the Commissioner of Income Tax (Exemption) [CIT(E)] rejected the application for final approval, citing that the assessee had already commenced its activities long before obtaining provisional registration, and the time limit prescribed for applying for final approval had expired.

The assessee contended that the CIT(E) had misconstrued the provisions of Section 80G(5) and the relevant circulars issued by the Central Board of Direct Taxes (CBDT). The assessee argued that once provisional approval was granted, the institution was eligible to apply for final registration, irrespective of whether it had commenced activities before obtaining provisional approval.

Discussions and Findings of the Court

Relevant Provisions of Section 80G(5)

The ITAT examined the relevant provisions of Section 80G(5) and the First Proviso, which outlines the conditions and procedures for obtaining approval for claiming tax exemption on donations received by charitable institutions.

Extension of Time Limit by CBDT Circulars

The ITAT noted that the CBDT had extended the time limit for making applications under Clause (i) of the First Proviso to Section 80G(5) until September 30, 2023. This extension was intended to assist institutions that could not apply for renewal or continuance of registration within the stipulated three-month period.

Application for Final Registration after Provisional Approval

The ITAT held that once an institution has been granted provisional approval under Clause (i) or Clause (iv) of the First Proviso to Section 80G(5), it is eligible to apply for final registration under Clause (iii), irrespective of whether it had commenced activities before obtaining provisional approval. The date of commencement of activities will be counted from the grant of provisional approval.

Rejection of CIT(E)'s Interpretation

The ITAT rejected the CIT(E)'s interpretation that institutions that had commenced activities before obtaining provisional approval would be barred from applying for final registration. The ITAT stated that such an interpretation would render the relevant provisions of Section 80G(5) redundant and defeat their purpose.

Analysis and Decision by the Court

The ITAT allowed the assessee's appeal and set aside the order of the CIT(E). The ITAT directed the CIT(E) to grant final approval to the assessee under Clause (iii) of the First Proviso to Section 80G(5), provided the assessee meets the eligibility criteria. The ITAT also instructed the CIT(A) to decide on the application for final registration within three months of receiving a copy of the order.

Doctrine or Legal Principle Discussed

The judgment primarily revolves around the interpretation of the provisions of Section 80G(5) and the First Proviso, particularly concerning the time limits and procedures for obtaining provisional and final approval for claiming tax exemption on donations received by charitable institutions.

Relied upon or Followed Judgments

The ITAT relied upon and followed its earlier decisions in the cases of "Vivekananda Mission Asram Versus CIT (Exemption) , Kolkata. - 2023 (12) TMI 1298 - ITAT KOLKATA" "West Bengal Welfare Society Versus CIT (Exemption) , Kolkata - 2023 (9) TMI 1422 - ITAT KOLKATA" and "Sri Aurobindo Bhawan Trust, Krishnagar Versus CIT (Exemption) , Kolkata. - 2024 (3) TMI 839 - ITAT KOLKATA" which dealt with similar issues related to Section 80G registration.

Comprehensive Summary of the Judgment

The ITAT's judgment clarifies the time limits and procedures for obtaining provisional and final approval u/s 80G(5) of the Income Tax Act, 1961. The key points are:

  1. Institutions that were already registered before the amendment to Section 80G(5) in 2020 had to apply for renewal or continuance of registration under Clause (i) of the First Proviso within three months from April 1, 2021, or by September 30, 2023, as per the extended deadline.
  2. Institutions applying for the first time or those not registered before the amendment could apply for provisional approval under Clause (iv) of the First Proviso.
  3. Institutions granted provisional approval under Clause (i) or Clause (iv) are eligible to apply for final registration under Clause (iii) of the First Proviso, irrespective of whether they had commenced activities before obtaining provisional approval.
  4. The date of commencement of activities will be counted from the grant of provisional approval under Clause (i) or Clause (iv).
  5. The CBDT circulars extending the time limit are applicable only for applications under Clause (i) and do not curtail the limitation period for applying for final registration under Clause (iii).
  6. Rejecting an application for final registration on the grounds that the institution had commenced activities before obtaining provisional approval would render the relevant provisions of Section 80G(5) redundant.

The ITAT's judgment aims to provide clarity and ensure a consistent interpretation of the provisions related to Section 80G registration, thereby facilitating the registration process for eligible charitable institutions.

 


Full Text:

2024 (3) TMI 941 - ITAT KOLKATA

 



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