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    <description>Charitable society expenditure on an international conference and training was held not to require separate CBDT approval where it furthered the objects of the institution and no personal benefit was shown. Receipts for an HIV/AIDS project were treated as temporary project funding adjusted against project , not as taxable income, because the outlay had been incurred first and later reimbursed for the same activity. Absence of registration under the AP Charitable and Hindu Religious Institutions and Endowments Act, 1987 did not by itself defeat exemption under the Income-tax Act. Tied-up donor grants for Tsunami house repairs and women&#039;s support remained non-taxable where relief reached the intended beneficiaries and implementation deviations had donor approval.</description>
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