valid till AY 2024-25. But Our Trust was rejected under Sec 80G
considering a religious trust are not eligible under section 80G(5) , hence ... 10AD
should be null and void and this rejection order must be cancelled .
Ground No. 3
Since the assessee trust was already granted regular registration
wrongly rejected the application for registration of assessee trust u/s 12A
stating that trust had not complete the form 10AB, has not registration with ... wrongly rejected the application for registration of assessee trust u/s 12A stating that
trust had not complete the form 10AB, has no registration with
wrongly rejected the application for registration of assessee trust u/s 12A
stating that trust had not complete the form 10AB, has not registration with ... wrongly rejected the application for registration of assessee trust u/s 12A stating that
trust had not complete the form 10AB, has no registration with
registration of
assessee trust u/s 12AA stating that trust is not registered with Rajasthan
Public Trust Act, 1959 whereas the trust is duly registered ... 2024
ECK WELFARE TRUST, KOTA VS CIT (EXEMPTION), JAIPUR
2021 issued by the Sub-Registrar, Kota of Trust under the State
Government of Rajasthan. Hence
registration of
assessee trust u/s 12A stating that Trust is not registered with RPT Act, 1959
whereas the trust is duly registered with ... Devi Johari Charitable Trust vs. CIT(E)
of Trust under the State Government of Rajasthan Jaipur. Hence our trust is duly
registered by the State
registration of
assessee trust u/s 12A stating that Trust is not registered with RPT Act, 1959
whereas the trust is duly registered with ... Devi Johari Charitable Trust vs. CIT(E)
of Trust under the State Government of Rajasthan Jaipur. Hence our trust is duly
registered by the State
ground that appellant trust was doing activity beyond the
objective of the trust being completely incorrect and void, hence deserves to be quashed ... ground that appellant trust was doing activity beyond the
objective of the trust being completely incorrect and void, hence deserves to be quashed
ground that appellant trust was doing activity beyond the
objective of the trust being completely incorrect and void, hence deserves to be quashed ... ground that appellant trust was doing activity beyond the
objective of the trust being completely incorrect and void, hence deserves to be quashed
which he again made the additions,
hence the order is null and void which should be quashed. That
the Ld. CIT(A) erred ... investment in Shares and assessed the trust
under normal provision of I.T. Act, 1961 , when the law/judicial
view is to tax only
which he again made the additions,
hence the order is null and void which should be quashed. That
the Ld. CIT(A) erred ... investment in Shares and assessed the trust
under normal provision of I.T. Act, 1961 , when the law/judicial
view is to tax only