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Commissioner Of Income Tax (Exemption v. Vishwanathan Medical Foundation

High Court 26 Jul 2017 In favour of: Revenue
Forum / Bench
High Court · dhcdb
Parties
Commissioner Of Income Tax (Exemption v. Vishwanathan Medical Foundation
Date of order
26 Jul 2017
Assessment year(s)
2013-14, 1990-91
Outcome
Allowed

Case summary

In Commissioner Of Income Tax (Exemption v. Vishwanathan Medical Foundation, the High Court (2017) allowed the appeal. The decision went in favour of the Revenue.

Summary auto-generated from the order below — read the full judgment for the complete reasoning.

Sections referenced in this judgment

The order — as passed by the High Court

$~9 * IN THE HIGH COURT OF DELHI AT NEW DELHI + ITA 30/2017 COMMISSIONER OF INCOME TAX (EXEMPTION) ..... Appellant Through: Mr. Ruchir Bhatia, Advocate. Versus VISHWANATHAN MEDICAL FOUNDATION ..... Respondent Through: Mr. Ranjan Bhatia, Advocate. CORAM: JUSTICE S.MURALIDHAR JUSTICE PRATHIBA M. SINGH % O R D E R26.07.2017 C.M.No.1045 /2017 (Exemptions) 1. For the reasons stated in the application, it is allowed subject to all just exceptions. -C.M.No.1046/2017 (delay in refiling) 2. For the reasons stated in the application, the delay in re-filing is condoned and the application is disposed of. ITA No.30/2017 3. The Revenue is in appeal against an order dated 21[st] April, 2016 passed by the ITAT in ITA No.358/Del/2014. 4. The issue urged by the Revenue is whether the ITAT was justified in ITA 30/2017 allowing the Respondent/Assessee’s application for registration as a charitable institution under Section 12A of the Income Tax Act, 1961 (‘the Act’)? 5. The Assessee’s application was initially rejected by the Director of Income Tax (Exemption) by an order dated 22[nd] November, 2013 on the ground that the documents which were required to be submitted by the Assessee were, in fact, not submitted. The said order dated 22[nd] November, 2013 noted that the Assessee had by its letter dated 18[th] July, 2013 informed that it was claiming exemption under Section 10 (23C) (iiiae) of the Act. In the said order the Assessee was asked to furnish a copy of the registration under Section 10 (23C). 6. In the appeal filed by the Assessee against the said rejection before the ITAT, the Assessee was able to produce the documents to show that its income was in fact exempt under Section 10(23C)(iiiae). This was evident from the assessment order passed in the case of Assessee for AY 2013-14. Further, the Assessee had been allowed exemption under Section 11 of the Act by the ITAT in AY 1990-91 as well. It was noted by the ITAT that the Assessee had filed all the information before the ITO, Headquarters (Exemptions) as was evident from the paper book filed by the Assessee. 7. In the circumstances, there was no need for the ITAT to have remanded the matter to the Director of Income Tax (Exemptions) for a fresh determination. There was sufficient material to justify grant of registration to the Assessee under Section 12A of the Act as has been ordered by the ITAT. 8. No substantial question of law arises for consideration. The appeal is dismissed. S.MURALIDHAR, J JULY 26, 2017 ‘anb’ PRATHIBA M. SINGH, J ITA 30/2017
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