2017 (7) TMI 1392
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....for registration may kindly be passed keeping in view the activities being carried out by the trust within a short period. iii) That the appellant craves to add or amend any grounds of appeal before the appeal is heard and disposed of." 3. Brief facts relevant to the case are that the assessee had filed application for seeking registration u/s 12A to the CIT(Exemptions). The Ld.CIT(Exemptions) observed that the assessee was an ongoing entity in operation since 23.12.2015. The CIT (Exemptions) also found that its stated objects were to provide medical relief by running hospitals, dispensaries, etc. and to promote education amongst the needy and economically weaker section of the society particularly amongst girls, widows and orphans, then to establish schools for employment generation for the weaker sections of the society and to advance any other objects related to or connected to the fulfillment of the above. Thereafter the Ld.CIT(Exemptions) issued notices to the assessee seeking clarification on various issues. Due reply was filed by the assessee. After considering the same Ld.CIT(Exemptions) concluded that the genuineness of the activities carried out by the assesse....
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....On the basis of material available with the application the Show-Cause letter was issued vide which it was requested that the following documents/clarifications be provided by the fixed date. (i) Details of property vested in the trust, as envisaged u/s 11 of the l.T. Act, income from which is sought to be exempted. (ii) Details of voluntary contributions received by the trust, as envisaged u/s 12 of the l.T. Act and whether any specific direction has been received by the persons making voluntary contributions. (iii) The originals of Trust Deed/Bye-laws of the trust along with the Registration Certificate. (iv) Copies of Bank Statements through which activities are being propagated. The receipts of the school and the different items of expenditure that are being claimed may be highlighted. (v) Complete details of the Donations received or intended to be received and documentary evidence as regards to Grants received. (vi) The copies of the I.T Returns filed since inception. (vii) Donations received under FCRA alongwith relevant details such as copy of the return for FCRA-and the copy of specified bank account. ....
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....y 2016 and February, 2016. This issue of transfer of fund along with claim of the trust to have conducted charitable activities were raised before the applicant vide show-cause letter dated 14.12.2016. The applicant trust was also requested to explain the exact nature of activities carried out alongwith corroborative evidence for such charitable activity. 6.2 On the issue of transfer of funds the applicant vide its reply dated 20.12.2016 submitted as under;- "The rationale behind this transfer is that M/s Mata Narayan Kaur Charitable Trust, Ludhiana is 30 year old charitable trust and doing various chanties infield of medical and education etc, since then. It also enjoys exemption u/s 12AA of the Income Tax Act. Mr. Gurparshad Singh Grewal is a founder and sole trustee of this trust. His date of birth is 30.06.1931 and now he is 86 years old so due to his age he is not able to manage the affairs of the trust so in order carrying the same objects of charity a new trust i.e. M/s Har Nihal Charitable Trust has been created in which his wife Mrs. Sarbinder Grewal is a Managing Trustee. So this amount of Rs. 1,57,00,000/- has been transferred to M/s Har Nihal Charitabl....
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....tee: The Sole Trustee, or in case there are two or more Trustees, shall constitute the Board of Trustee. The number of Trustees including the Author of the Trust shall not be more than three persons. The sole Trustee/Board of Trustees shall unanimously nominate and invite any person/persons to be the other trustee for such period, as they may deem fit and proper. Term of office of the Trustees: These Trustees shall hold office for such duration as may be specified by the Trust or the Board of Trustees as the case may be. Appointment of Trustees: (i) The Founder of this Trust shall be the first Sole Trustee of this Trust. She will hold the office for life or till she voluntarily resigns or otherwise ceases to be a Trustee under any of the provisions of law. (ii) In case of vacation of the office of the Sole Trustee by reason of death, incapacity or on account of any of the reasons (s) mentioned in clause (9) of this Trust Deed, her place as Sole Trustee will be taken by her daughter, Smt. Kushal Dhillon, who shall in that eventuality, be the sole Trustee for life or till she voluntarily resigns or otherwise ceases to be a Trustee....
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....57 crores from M/s Mata Narayan Kaur Charitable Trust which was under the trusteeship of the husband of the impugned trustee and further on account of clause in the Trust Deed which required the daughter of the trustee of the assessee trust to become the sole trustee on the vacation of office by the sole trustee of the assessee trust who was mother, it appeared to be a family arrangement and clearly not intended for public benefit. The Ld. DR also pointedly referred to the observations of the Ld.CIT (Exemption) vis-à-vis contravention of the provisions of Indian Trust Act, 1882 by having sole trustee administering the trust which involved receipt and custody of money. 7. Having heard both the parties and having perused the order of the Ld.CIT(Exemption) and also documents placed before us, we find that the Ld.CIT(Exemption) had denied exemption for various reasons which according to him cumulatively led to the conclusion that the assessee trust was not genuinely involved for charitable activities though its objects appear to be charitable. We shall be dealing with each reason given by the Ld.CIT(Exemption) individually. 8. We shall first be taking up the reason pointed....
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....haritable Trust. Whether the said donation was to preclude dissolution of the donor trust or that it was made from accumulated funds which had not been utilized in the specified time frame, have no effect nor do they affect the genuineness of the assessee trust. Whatever may have been done by the donor trust, may have an impact on the genuineness of the donor trust and there is no reason in holding the donee trust to be ingenuine on that account. Besides it is an uncontroverted fact that the donor trust was also enjoying exemption u/s 12AA of the Act and any such donation made by a charitable trust are entitled to be treated as donation of the said trust. For the above reason, we reject the contention of Ld.CIT(Exemptions) that since the donations were received from M/s Mata Narayan Kaur Charitable Trust, they make the activities of the assessee trust ingenuine. 10. The next reason given by the Ld.CIT(Exemptions) is that the author of the assessee trust is the sole trustee of the trust and since trust involves receipt and custody of money it has violated the provisions of Indian Trust Act, 1882 which requires the number of trustees to be atleast two in such cases. 11. This co....
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