Harish Chand Ram Kali Charitable Trust vs ACIT
In this landmark ruling, the Income Tax Appellate Tribunal, Delhi Bench, overturned lower authorities’ findings by holding that hostel operations by a charitable educational trust are not business income under section 11(4A) but are incidental to educational objectives. Additionally, the Tribunal allowed depreciation on assets despite prior treatment of costs as application of income, aligning with Supreme Court jurisprudence. This decision reinforces the principle that ancillary activities supporting charitable purposes remain exempt and clarifies depreciation eligibility for trusts pre-2015.
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