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Income Tax - Highlights / Catch Notes

Home Highlights December 2015 Year 2015 This

Charitable activity - addition made by the Assessing Officer ...

Income Tax

December 8, 2015

Charitable activity - addition made by the Assessing Officer treating the activity of providing Mid Day Meal being falling with the proviso to Section 2(15) - Breach of natural justice - matter remanded back - AT

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  1. There is no service tax liability on the appellant engaged in providing Mid Day Meals to various schools and are getting paid for the same from the Schools/Government - AT

  2. Mid-day Meal Scheme - the assessee fulfils the requirements for entitlement to the exemption under the Notification dated 8-8-2011 - exemption allowed - AT

  3. The activity performed by the assessee clearly appears to be inseparably linked to the 'charitable purpose' of providing mid-day meals at village schools - the...

  4. Service of providing meals to school students under the Mid-day Meal Scheme - when the transaction is mainly one of sale, the appellant has made out a prima facie case...

  5. Since the appellant are preparing mid day meals in their Institute and not in the schools where the meals are served are not involved in serving of the meals in any...

  6. Exemption u/s 11 - violation of provisions of section 13(1)(c) - providing food to the officers and their guests - 73 meals coupons utilized by the Chairman - exemption...

  7. Charitable Activities or not - activities of the Trust in providing hostel accommodation facilities to the students who come to Pune for education do not fall within the...

  8. The transfer of goods / capital equipments, exclusively used for Mid-Day Meal (MDM) program and Anganwadi meals program sponsored by Government, between different...

  9. Charitable purpose - the application of the fund is not made for charitable activity but for construction of the building, which again does not directly reflect the...

  10. Undisclosed investment - mere fact of producing an affidavit by the wife or mother of the assessee may not be treated by the Assessing Officer as sufficient explanation...

 

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