filed by such trust/institution
are limited to the aspect of examining whether or not the
objects of the trust are charitable nature.
The revenue ... does not dispute the fact that the objects
of the trust are religious and charitable in nature. If such
be the factual position, the learned
Director of Income Tax
(Exemption), to grant Registration to the Assessee Trust under section 12AA
of the Income Tax Act, 1961 and also exemption certificate ... required to be considered whether or not the
objects of a Trust are charitable in nature and merely because the Trust was at
the commencement
contents of the will and contended that
pursuant to the charitable objects the schools were
established by the Supreme Court of Judicature at Fort
William ... submitted that, Courts have a parens patriae
jurisdiction over the Trusts for charitable and religious
purposes and can always act in public interest in respect
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