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2025 (7) TMI 1424 - AT - Income TaxNon granting approval u/s 80G(5) - one of the objects in the Trust deed is of a religious nature - Jivdaya expenses - Assessee submitted that only one of the objects is religious in nature and the expenses on such religious object is not more than 5% of the total income HELD THAT - We find that primary objectives of the Trust include providing medical assistance to the poor and to help them cover medical expenses. Additionally the Trust allocates funds for Jivdaya (animal welfare and their treatment). The Trust has incurred expenses for providing food to poor and needy people and also incurred expenses for education. Therefore from the above it is clearly evident that the activity of the Trust is not intended for the benefit of any particular religious community or caste. It is stated by the ld Counsel for the assessee that the funds received by the assessee- trust have been exclusively utilized for providing financial aid medical assistance Jivdaya (animal welfare) expenses and expenses related to the Bhojanalaya (common Kitchen). Trust has not incurred any expenditure on religious activities during the financial year 2023-24. The above facts were duly stated during the course of proceedings u/s 80G(5)(iii) of the Act and the assessee -trust has duly submitted the required documents to establish the genuineness of the activity of the Trust. We also note that as per the provisions of sub-section (5B) to section 80G of the Act which states that a Trust which incurs expenditure during any previous year which is of a religious nature for an amount not exceeding 5% of its total income shall be deemed to be an institution or fund to which the provisions of this section apply. We note that if the Jivdaya expenses which has incurred by the assessee- trust to the tune of Rs. 20, 460/- ( which is incurred for the treatment of ill animals and welfare of animals) and if the CIT(E ) treated these expenses as religious in nature than in that circumstances we direct the learned CIT (E) to work out the percentage as compared to the total income of the trust and to examine whether such expenses falls below 5% of the total income of the assessee- trust. If the Jivdaya expenses falls below 5% of the total income of the assessee- trust the assessee- trust deserve approval under section 80G (5) (iii) of the Act hence for limited purpose we remit this issue back to the file of the ld. CIT(E ) to examine the above stated facts and grant the approval under section 80G(5) of the Act in accordance with Law. For statistical purposes the appeal of the assessee is treated to be allowed. ISSUES:
RULINGS / HOLDINGS:
RATIONALE:
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