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    <title>2015 (4) TMI 93 - ITAT MUMBAI</title>
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    <description>The tribunal allowed the appeal, holding that if the trust&#039;s activities fell within the definition of charitable purposes under section 2(15) and the property was held wholly for charitable purposes as per section 11, the trust was entitled to registration. The tribunal clarified that the application of income outside India for charitable purposes did not disqualify the trust from registration but emphasized that exemption from total income was limited to income applied in India. The tribunal also directed a re-evaluation by the DIT(E) regarding the reasonableness of the salaries paid to trustees, granting the appellant an opportunity to justify the payments.</description>
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    <pubDate>Wed, 11 Mar 2015 00:00:00 +0530</pubDate>
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      <title>2015 (4) TMI 93 - ITAT MUMBAI</title>
      <link>https://www.taxtmi.com/caselaws?id=258211</link>
      <description>The tribunal allowed the appeal, holding that if the trust&#039;s activities fell within the definition of charitable purposes under section 2(15) and the property was held wholly for charitable purposes as per section 11, the trust was entitled to registration. The tribunal clarified that the application of income outside India for charitable purposes did not disqualify the trust from registration but emphasized that exemption from total income was limited to income applied in India. The tribunal also directed a re-evaluation by the DIT(E) regarding the reasonableness of the salaries paid to trustees, granting the appellant an opportunity to justify the payments.</description>
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      <pubDate>Wed, 11 Mar 2015 00:00:00 +0530</pubDate>
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