DCIT vs Hamdard Laboratories (India)
In this landmark judgment, the Income Tax Appellate Tribunal, Delhi Bench, dismissed the Revenue’s appeal and upheld the CIT(A)’s decision granting exemption to Hamdard Laboratories (India) under section 10(23C)(iv) of the Income Tax Act, 1961, for AY 2016-17. The Tribunal affirmed that charitable trusts can raise fresh exemption claims during appeals, supported by precedents like Mitesh Impex and Jute Corporation of India. Key findings include the trust’s eligibility under section 10(23C)(iv), no violation of section 13(2)(b) regarding concessional rent, and adherence to the consistency principle. This ruling reinforces the appellate authorities’ plenary powers and provides clarity on exemption claims for charitable institutions.
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