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        Case ID :

        2017 (5) TMI 633 - AT - Income Tax

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        Tribunal dismisses appeal, advises reapplication for tax exemption due to lack of approval for foreign activities. The Tribunal upheld the denial of approval under Section 80G(5)(vi) due to the lack of approval under Section 11(1)(c) for activities outside India. ...
                          Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.

                              Tribunal dismisses appeal, advises reapplication for tax exemption due to lack of approval for foreign activities.

                              The Tribunal upheld the denial of approval under Section 80G(5)(vi) due to the lack of approval under Section 11(1)(c) for activities outside India. However, it disagreed with the reasoning that the absence of significant charitable activities justified the denial. The assessee was advised to seek approval under Section 11(1)(c) and then reapply for exemption under Section 80G(5)(vi). The appeal was dismissed, granting the assessee the opportunity to reapply upon obtaining the required approval.




                              Issues Involved:
                              1. Rejection of application seeking exemption under Section 80G(5)(vi) of the Income Tax Act, 1961.
                              2. Interpretation of Section 80G(5) and its conditions.
                              3. Applicability of Section 11(1)(c) regarding activities outside India.
                              4. Significance of carrying out charitable activities for approval under Section 80G.

                              Detailed Analysis:

                              Issue 1: Rejection of Application Seeking Exemption under Section 80G(5)(vi)
                              The primary issue is whether the rejection of the assessee's application for exemption under Section 80G(5)(vi) of the Income Tax Act, 1961 by the CIT (Exemption) was justified. The CIT (Exemption) denied the approval on the grounds that the applicant intended to carry out activities outside India without obtaining approval under Section 11(1)(c) and had not conducted significant charitable activities.

                              Issue 2: Interpretation of Section 80G(5) and Its Conditions
                              The assessee argued that Section 80G(5) only requires the institution to be established in India for charitable purposes and does not restrict the scope of activities to within India. The relevant provisions of Section 80G(5) were cited, which outline the conditions for approval, including that the institution should not include its income in the total income under Sections 11 and 12, maintain regular accounts, and not benefit any particular religious community or caste.

                              Issue 3: Applicability of Section 11(1)(c) Regarding Activities Outside India
                              The CIT (Exemption) highlighted that the assessee intended to carry out activities outside India and had allocated funds for projects in Guatemala City and the Philippines. According to Section 11(1)(c), income applied to charitable purposes outside India is not excluded from total income unless approved by the competent authority. The Tribunal noted that the assessee had not obtained such approval, and the applicability of Section 11(1)(c) was not contested by the assessee.

                              Issue 4: Significance of Carrying Out Charitable Activities for Approval under Section 80G
                              The CIT (Exemption) also denied approval on the basis that the assessee had not conducted significant charitable activities. However, the Tribunal observed that the assessee had been incorporated recently and had taken steps towards achieving its charitable objectives, such as entering into an MOU with Digital Empowerment Foundation and allocating funds for solar projects. The Tribunal concluded that the lack of significant activities alone should not be a ground for denying approval under Section 80G, provided other conditions are met.

                              Conclusion:
                              The Tribunal upheld the CIT (Exemption)'s decision to deny approval under Section 80G(5)(vi) due to the absence of approval under Section 11(1)(c) for activities outside India. However, it disagreed with the CIT (Exemption)'s reasoning that the lack of significant activities was a valid ground for denial. The Tribunal advised the assessee to seek approval under Section 11(1)(c) and then reapply for exemption under Section 80G(5)(vi). The appeal was thus dismissed, but the assessee was given the liberty to reapply once the necessary approval was obtained.
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