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        <h1>Trust Income Exemption Partially Granted: Seminars, Coaching, Activities Deemed Incidental</h1> The Tribunal allowed the appeal partly, granting exemption under section 11 for income from seminars, coaching classes, and other activities, deeming them ... Charitable or religious trust Issues Involved:1. Denial of exemption under sections 11 to 13 of the IT Act.2. Classification of the appellant's activities as business under section 2(13) of the IT Act.3. Treatment of income from various sources including seminars, coaching classes, and donations.4. Applicability of section 11(4A) regarding incidental business activities and maintenance of separate books of account.5. Addition of capital receipts to income.6. Consideration of capital expenditure as applied to the objects of the Trust.7. Exemption of interest and dividend income under section 11 of the IT Act.Issue-wise Detailed Analysis:1. Denial of Exemption under Sections 11 to 13 of the IT Act:The CIT(A) confirmed the order of the ADIT(E) denying exemption under section 11 without adjudicating ground Nos. 1 and 2 and without considering all submissions made by the appellant's representatives. The Assessing Officer refused to consider that the income of the appellant trust is not taxable in accordance with sections 11 to 13, ignoring the rule of consistency applicable in tax proceedings. The CIT(A) upheld this denial on the grounds that the appellant was carrying on business under section 2(13).2. Classification of Activities as Business under Section 2(13):The Assessing Officer and CIT(A) classified the appellant's activities, such as holding seminars, conferences, and coaching classes, as business activities. They held that these activities resulted in profit and thus did not qualify for exemption under section 11. The appellant argued that these activities were to promote scientific development in marine engineering and were not business activities.3. Treatment of Income from Various Sources:The appellant received income from sponsorships, advertisements, subscriptions, and coaching classes, which were claimed to be for promoting marine engineering. The Assessing Officer viewed these as business activities aimed at profit-making, denying the exemption. The appellant contended that these were incidental to the trust's objectives and not business activities.4. Applicability of Section 11(4A):The appellant argued that even if their activities were considered business, they were incidental to the attainment of the trust's objectives, and separate books of account were maintained, thus qualifying for exemption under section 11(4A). The Assessing Officer rejected this claim, stating that the activities did not have any element of charitable acts and were not incidental to charitable objects.5. Addition of Capital Receipts to Income:The CIT(A) confirmed the addition of Rs. 13,04,104 in respect of capital receipts (entrance fees, life membership fees, transfer fees, and donations) to the income of the appellant, on the ground that no direction letters from donors were furnished to the Assessing Officer. The appellant argued that these amounts were corpus donations as per their Articles.6. Consideration of Capital Expenditure:The appellant claimed that they applied Rs. 19,06,809 towards capital expenditure, which should be considered as applied to the objects of the Trust. The CIT(A) and Assessing Officer did not consider this in their assessment.7. Exemption of Interest and Dividend Income:The Assessing Officer did not consider interest income of Rs. 2,27,185 and dividend income of Rs. 4,84,857 as exempt under section 11. The appellant argued that these incomes were exempt in previous years and should continue to be exempt.Judgment Summary:The Tribunal observed that the appellant is registered under sections 12A and 80G and has been claiming exemption under section 11 for many years. The primary object of the appellant is the promotion of scientific development in marine engineering. The Tribunal found that the activities, such as holding seminars and coaching classes, were in furtherance of the trust's objectives and not business activities. The income from these activities was incidental to the attainment of the trust's objectives, and separate books of account were maintained, thus qualifying for exemption under section 11(4A).The Tribunal also noted that the CIT(A) had erred in computing the total income by including capital receipts twice. The Tribunal directed the Assessing Officer to verify and correct this double addition. The Tribunal held that the capital expenditure should be considered as applied towards the trust's objectives and directed the Assessing Officer to allow exemption for interest and dividend income, as there was no change in circumstances from previous years.Conclusion:The Tribunal allowed the appeal partly, granting exemption under section 11 for the income from seminars, coaching classes, and other activities, considering them incidental to the trust's objectives. The Tribunal also directed the correction of double addition of capital receipts and allowed exemption for interest and dividend income.

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