Just a moment...

Top
Help
×

By creating an account you can:

Logo TaxTMI
>
Call Us / Help / Feedback

Contact Us At :

E-mail: [email protected]

Call / WhatsApp at: +91 99117 96707

For more information, Check Contact Us

FAQs :

To know Frequently Asked Questions, Check FAQs

Most Asked Video Tutorials :

For more tutorials, Check Video Tutorials

Submit Feedback/Suggestion :

Email :
Please provide your email address so we can follow up on your feedback.
Category :
Description :
Min 15 characters0/2000
TMI Blog
Home / RSS

2011 (11) TMI 715

X X   X X   Extracts   X X   X X

Full Text of the Document

X X   X X   Extracts   X X   X X

....or the Respondent : M. Subramanian ORDER Rajendra Singh (Accountant Member) This appeal by the revenue is directed against the order dated 4.3.2010 of CIT(A) for the assessment year 2007-08. The only dispute raised in this appeal is regarding allowability of exemption under section 11 of the Income tax Act. 2. The assessee is a local authority created by the Govt. of Maharashtra. Earli....

X X   X X   Extracts   X X   X X

Full Text of the Document

X X   X X   Extracts   X X   X X

....sessee to explain as to why exemption under section 11 should not be denied this year also. The assessee submitted that in assessment year 2003-04 to 2006-07, the claim had been allowed by the CIT(A) and also by the Tribunal and therefore, facts being the same the claim should be allowed. The AO however observed that the Tribunal had dismissed the appeal of the department on technical ground and h....

X X   X X   Extracts   X X   X X

Full Text of the Document

X X   X X   Extracts   X X   X X

....ty of deduction under section 11 of the Income Tax Act in case of the assessee. There is no dispute that the assessee has been registered under section 12AA of the Income tax Act by the DIT(E) which means that charitable character of the assessee is not in dispute. Therefore, exemption under section 11 in case of the assessee can not be denied. We also find that identical dispute had arisen in cas....