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Changing Objectives of Registered Societies: Exemption u/s 11 and survival of the Registration u/s 12A r.w.s 12AA


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Deciphering Legal Judgments: A Comprehensive Analysis of Case Law

Reported as:

2007 (3) TMI 208 - ALLAHABAD High Court

The case under review, adjudicated by the Allahabad High Court in 2007, presents an intricate legal issue pertaining to the alteration of objects by a society registered under Section 12A of the Income-tax Act, 1961, and the consequent implications on its registration status.

Essential Facts and Procedural History

  1. Initial Registration: The petitioner society obtained registration under Section 12A of the Act on August 16, 1975, based on its memorandum of association which contained six specific objects​​.
  2. Alteration of Objects: Effective from March 15, 2000, the petitioner altered its objects, expanding them from six to fourteen, some of which were "religious in nature" and significantly different from the original objects​​.
  3. Income-tax Officer's (ITO) Assessment: The ITO noted that the petitioner failed to inform the Commissioner of Income-tax about these changes, a requirement under rule 17B and Form No.10A. Consequently, the ITO held that the registration no longer survived post the comprehensive alteration of objects​​.

Legal Arguments and Court's Analysis

  1. Petitioner's Argument on Cancellation of Registration: The petitioner contended that only the Commissioner has the power to cancel the registration under Section 12AA(3) of the Act. Since no such order was passed, the petitioner argued that their registration should be deemed valid​​.
  2. Court's Interpretation: The court clarified that Section 12AA(3) applies when the objects remain the same, but the activities are not in line with those objects. In contrast, a complete alteration of objects, as in this case, fundamentally undermines the basis of registration. The court emphasized that the immediate intimation of such changes to the Commissioner is essential, not just for record-keeping but as a statutory obligation. The failure to inform the Commissioner of such substantial changes leads to the assumption that the registration based on the original objects no longer holds good​​.

The Court's Decision

  1. Rejection of Pleas Based on Technicalities: The court addressed various pleas by the petitioner, including reliance on past circulars and judgments, but found them not persuasive in the context of the petitioner's failure to demonstrate a prima facie case justifying an interim order or stay of demand​​.
  2. Dismissal of the Writ Petition: Ultimately, the court dismissed the writ petition, unable to grant any relief based on the arguments and evidence presented. The court upheld the principle that substantial changes in the objects of a registered society without due intimation to the Commissioner affect the survival of the registration under Section 12A of the Act​​.

Legal Implications and Conclusion

This case underscores the critical importance of adhering to statutory requirements in maintaining registrations under the Income-tax Act. It highlights that altering the objects of a trust or institution post-registration without duly informing the Commissioner can lead to the assumption of the registration's cessation. This decision reinforces the strict compliance needed with procedural and substantive provisions of the Income Tax Act, especially concerning the registration of trusts and institutions under section 12A.

 


Full Text:

2007 (3) TMI 208 - ALLAHABAD High Court

 



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