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1979 (9) TMI 94 - ITAT BOMBAYExtract: .......submission that the object of public utility in the case of the assessee does not involve an activity of profit. Accordingly, we hold that the assessee Association is established for charitable purposes within the meaning of s. 2(15) of the IT Act and is entitled to benefit under s. 11 of the IT Act, 1961. 8. In the result, the appeals are allowed.
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