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        <h1>Trust Granted Tax Exemption for Educational Activities</h1> The tribunal allowed the appellant trust exemption under section 10(22)/(23C) of the Income Tax Act, affirming its entitlement to the claimed exemption. ... Educational Institution Issues Involved:1. Entitlement to exemption under section 10(22)/(23C) of the Income Tax Act.2. Diversion of funds for non-charitable purposes.3. Existence of other non-educational objects in the trust deed.4. Examination of additional evidence.5. Applicability of sections 11, 12, and 13 of the Income Tax Act.Issue-wise Detailed Analysis:1. Entitlement to exemption under section 10(22)/(23C) of the Income Tax Act:The primary issue was whether the appellant trust, running an educational institution, was entitled to exemption under section 10(22)/(23C). The CIT (Appeals) acknowledged that the trust was indeed an educational institution and that merely having other objects in its deed, which were never pursued, did not disqualify it from exemption. The tribunal concurred, noting that these other objects were charitable and non-profit in nature. The trust had been running educational institutions since 1977, and the surplus generated was incidental and used for educational purposes, thus meeting the criteria for exemption under section 10(22).2. Diversion of funds for non-charitable purposes:The Assessing Officer and CIT (Appeals) had concerns about the diversion of surplus funds to business entities where trustees had substantial interests. The tribunal found that the funds were lent at a market rate of 18% interest, which was credited to the trust's accounts. There was no requirement under section 10(22) to invest funds in specified assets, and the trustees had invested in entities where they had control, ensuring the safety of the investments. The tribunal held that these actions did not constitute a diversion of funds for non-charitable purposes and did not disqualify the trust from exemption.3. Existence of other non-educational objects in the trust deed:The trust deed included objects unrelated to education, such as medical relief and community services. The CIT (Appeals) and tribunal found that these objects were never pursued and remained on paper. The existence of these objects did not undermine the trust's primary educational purpose. The tribunal emphasized that the trust's actual activities were solely educational, and the unrelated objects did not affect its eligibility for exemption under section 10(22).4. Examination of additional evidence:The appellant submitted additional evidence, including documents related to the opening of a second school unit and applications for waiver of stamp duty. The tribunal admitted these documents, noting that they were relevant to the case and their admission would not harm the other party. The documents clarified the trust's intentions and actions regarding the purchase of land for educational purposes.5. Applicability of sections 11, 12, and 13 of the Income Tax Act:The tribunal noted that the lower authorities had unnecessarily examined the provisions of sections 11, 12, and 13, which were not relevant to the case under section 10(22). The trust had not sought exemption under these sections, and the tribunal directed the focus back to section 10(22). The tribunal concluded that the trust's compliance with section 10(22) was sufficient for exemption, and the provisions of sections 11 to 13 did not apply.Conclusion:The tribunal set aside the orders of the CIT (Appeals) and directed the Assessing Officer to allow the appellant trust exemption under section 10(22)/(23C). The appeals were allowed, affirming the trust's entitlement to the claimed exemption.

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