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ITAT Pune: Deduction Permitted Under Section 35(1)(ii) on Donation Account

The Income Tax Appellate Tribunal (ITAT), Pune Bench has permitted the deduction beneath Section 35(1)(ii) of the Income Tax Act with respect to the donation.

ITAT Pune Allowed Deduction U/S 35(1)(ii)

The taxpayer owner of MRC transolutions Pvt ltd furnished a donation of Rs 1.25 cr to the organization known as the school of human Human Genetics and Population Health (hereinafter called SHGPH).

The assessing officer with respect to the verification towards the originality of the claim initiates an inquiry towards the firm by giving the notice beneath section 133(6) of the act.

With respect to the investigation notice, the SHGPH told that the firm has furnished the application beneath section 245C of the act to the settlement commission, before whom it was furnished that it has involved in giving the accommodation entries towards the donations via specific mediators and the donations will be refunded to the donor’s post holding the service charges.

Read Also: Learn Income Tax Benefits from Donations Under Section 80G Get to know all tax exemptions from donations under section 80G of the Income-tax act. Also, we have included documents that are required to claim benefits. Read more

The donations and the refunds will be filed via the banking system. It was moreover furnished that the application was built to the Settlement Commission. Moreover, the assessing officer had obtained the details through the investigation unit of the council through Kolkata which says that the firm is involved in furnishing the accommodation record of the donation.

But the officer does not permit the claim for deduction beneath section 35(1)(ii) of the Act, keeping unfavourable conclusions with respect to the petitioner.

The taxpayer constitutes that there is no proof which is brought through the council to show that the petitioner firm has obtained back part of the donations furnished to the said firm either in cash or in any other segment and the petitioner was not provided an opportunity to cross-check it.

While beside that CIT-DR consists that via these issues about the research firms i.e SHGPH accepts that the modus operandi to the Hon’ble reimbursement commission is conclusive evidence to display that the donee has been involving in the bogus activity to give the accommodation entries for the donors and the taxpayers had refused to release primary the onus cast on it.

The two Judges S.S. Vishwanethra Ravi and Inturi Rama Rao seek that the assessing officer is not able to implement the attendance of officers of one firm for the purposes of cross-exam through the petitioner through practicing the powers implemented with him.

ITAT held “The legislative intent of Parliament to allow the deduction under section 35(1)(ii) in the hands of the donors, notwithstanding the fact that the approval granted earlier to the Research Organization was withdrawn retrospectively,”

Thus ITAT suggests that the claim produced through the taxpayer’s firm via deduction beneath section 35(1)(ii) of the Act on account of donation addressed to SHGPH is effectively permissible.

Disclaimer:- "All the information given is from credible and authentic resources and has been published after moderation. Any change in detail or information other than fact must be considered a human error. The blog we write is to provide updated information. You can raise any query on matters related to blog content. Also, note that we don’t provide any type of consultancy so we are sorry for being unable to reply to consultancy queries. Also, we do mention that our replies are solely on a practical basis and we advise you to cross verify with professional authorities for a fact check."

Published by Arpit Kulshrestha
Arpit Kulshrestha seeks higher interests in financial services, taxation, GST, I-T, etc. Writes articles with depth knowledge and is extensive for the same. The resources provide effective articles for the products of SAG infotech which provides taxation and IT software. Writing from observations and researching makes his articles virtuous. View more posts
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