Citation : 1985 Latest Caselaw 153 Del
Judgement Date : 28 March, 1985
JUDGMENT
D.K. Kapur J.
1. The reference petition before us under section 256(2) of the Income-tax Act claims that a question of law arises regarding the assessed not being a charitable institution because it runs an activity for profit. The facts of the case are that Shri Ram Education Foundation had settled a business on trust with the Urmilla Bansi Dhar Foundation with the direction that the income should be used for charitable purposes. From this, it is clear that a business asset was entrusted to trustees for utilisation of the income for charitable purpose. The trust deed relating to the assessed foundation specifically provided that the income should be used for charitable purposes but not for running a business for profit. This meant that the income could not be used for running a business for profit. This type of a case is covered by the judgment of the Supreme Court in Addl. CIT v. Surat Art Silk Cloth Manufacturers Association [1980] 121 ITR 1. This judgment was followed by the Tribunal. We would, accordingly, decline to call for a reference and dismiss the petition.
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