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    <title>Partnership Firms Not Eligible for Scheduled Tribes Tax Exemption; Treated as Separate Entities Under Tax Law.</title>
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    <description>Exemption u/s 10(26) - Exemption to individual members of Scheduled Tribes - Whether a partnership firm, formed by individual partners who are entitled to an exemption u/s 10(26), can claim the same exemption. - The tribunal observed that under the Income Tax Act, a partnership firm is treated as a separate and distinct entity from its partners. The Act expressly includes firms in the definition of &quot;person&quot; for the purpose of tax assessment, making them separately assessable entities. - The exemption u/s 10(26) of the Income Tax Act, specifically granted to individual members of Scheduled Tribes, cannot be extended to partnership firms, even if they are solely constituted of such individuals.</description>
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    <pubDate>Fri, 22 Mar 2024 08:50:00 +0530</pubDate>
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      <title>Partnership Firms Not Eligible for Scheduled Tribes Tax Exemption; Treated as Separate Entities Under Tax Law.</title>
      <link>https://www.taxtmi.com/highlights?id=75974</link>
      <description>Exemption u/s 10(26) - Exemption to individual members of Scheduled Tribes - Whether a partnership firm, formed by individual partners who are entitled to an exemption u/s 10(26), can claim the same exemption. - The tribunal observed that under the Income Tax Act, a partnership firm is treated as a separate and distinct entity from its partners. The Act expressly includes firms in the definition of &quot;person&quot; for the purpose of tax assessment, making them separately assessable entities. - The exemption u/s 10(26) of the Income Tax Act, specifically granted to individual members of Scheduled Tribes, cannot be extended to partnership firms, even if they are solely constituted of such individuals.</description>
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      <pubDate>Fri, 22 Mar 2024 08:50:00 +0530</pubDate>
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