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1985 (3) TMI 19
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....nce petition before us under section 256(2) of the Income-tax Act claims that a question of law arises regarding the assessee not being a charitable institution because it runs an activity for profit. The facts of the case are that Shri Ram Education Foundation had settled a business on trust with the Urmilla Bansi Dhar Foundation with the direction that the income should be used for charitable pu....
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