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ROTARY CLUB OF MADRAS NORTHWEST EDUCATIONAL & CHARITABLE TRUST,TIRUVALLUR vs. CIT, EXEMPTIONS,, CHENNAI

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ITA 2065/CHNY/2025[-]Status: DisposedITAT Chennai23 September 20255 pages

आयकर अपीलीय अिधकरण ‘सी’ Ɋायपीठ, चेɄई।
IN THE INCOME TAX APPELLATE TRIBUNAL‘C’ BENCH: CHENNAI
ŵी मनु कुमार िगįर, Ɋाियक सद˟ एवं ŵी एस. आर. रघुनाथा, लेखा सद˟ के समƗ
BEFORE SHRI MANU KUMAR GIRI, JUDICIAL MEMBER AND SHRI S.R. RAGHUNATHA, ACCOUNTANT MEMBER

आयकर अपील सं./ ITA No.2065/Chny/2025
िनधाŊरण वषŊ /Assessment Year: -

Rotary Club of Madras Northwest
Educational & Charitable Trust,
139A, Third Cross Street, S&P Gardends,
Vanagaram B.O. Vanagaram, Tiruvallur
600 095. v.
The Commissioner of Income Tax (Exemptions),
Chennai-600034,

[PAN: AAAAR 2609 D]

(अपीलाथŎ/Appellant)

(ŮȑथŎ/Respondent)
अपीलाथŎ की ओर से/ Appellant by :
Shri N. Arjun Raj, Advocate
ŮȑथŎ की ओर से /Respondent by :
Mr. Bipin C.N, CIT
सुनवाई की तारीख/Date of Hearing
:
18.09.2025
घोषणा की तारीख /Date of Pronouncement
:
06.10.2025

आदेश / O R D E R

PER MANU KUMAR GIRI, JM:

The captioned appeal filed by the assessee is directed against order of the Ld. Commissioner of Income Tax (Exemption), Chennai, [‘CIT(E)’ in short] dated 16.06.2025 rejecting the application filed by the assessee dated 22.10.2024 in Form No.10AB under clause (iii) of first proviso to section 80G(5) of the Income Tax Act, 1961 ("the Act" in short) seeking approval u/s.80G of the Income Tax Act, 1961 (hereinafter “the Act”).

2.

The solitary issue in this appeal of assessee is against rejection of application seeking approval u/s. 80G of the Act on the ground that the same is not maintainable. Rotary Club :: 2 ::

3.

The brief facts of the case are that the assessee trust incorporated on 24.03.2000 and has obtained provisional approval u/s 80G from CPC on 05.04.2022 in Form 10AC for the period from AY 2022-23 to AY 2024-25. The assessee trust has filed an online application dated 22.10.2024 in Form 10AB seeking approval under clause (iii) of first proviso to sub- section (5) of section 80G of the Income Tax Act, 1961 (‘Act’ in short). The CIT (Exemptions) has passed his order in Form 10AB rejecting the application u/s.80G, stating that there is no mandatory provision in the Act to condone the delay in filing Form 10AB seeking approval u/s.80G as per the Finance Act, 2024. The ld.CIT(E) while rejecting the application u/s.80G for the reasons stated in para 4.1 to 4.4 of its order. The Learned CIT(E) denied the application on the basis that the trust was obligated to submit the application by 30.06.2024, as per CBDT Circular No. 7/2024 dated 25.04.2024, but it was submitted on 22.10.2024, resulting in a delay. Consequently, the Ld.CIT(E) deemed the application to be non- maintainable.

4.

The Ld. Authorized Representative (AR) of the assessee has highlighted that the assessee applied in accordance with clause (iii) of the first proviso to sub-section (5) of Section 80G of the Act. According to the previous regulations, the application needed to be submitted by September Rotary Club :: 3 ::

2023, which is six months before the conclusion of the provisional approval period that ends on 31.03.2024. Following this, the CBDT released Circular
No.7/2024 on 25.04.2024, which extended the deadline for submitting the application to 30.06.2024. The Ld. AR further noted that Section 80G has been amended to include clause (iv) in the first proviso to Section 80G(5), now permitting an assessee that has initiated its activities to apply for approval at any time post-commencement. Consequently, it was asserted that the assessee’s application should be evaluated under clause (iv)(B) of Section 80G(5) of the Act. The Ld. AR also referenced the Memorandum that elucidates the provisions of the Finance Bill, 2024, which proposed the insertion of clause (iv) to streamline the timeline for submitting the application for approval, allowing for submission at any time after the initiation of activities. In light of this amendment, the Ld.AR prayed that the approval be granted effective from 01.10.2024, which is the date when the amended provisions under clause (iv) of Section 80G(5) take effect. The ld.
AR also referred the order of the co-ordinate Bench of Tribunal in the case of Aalayam Vs The CIT(E) ITA No.1012/Chny/2025 dated 25.07.2025 and order of the Mumbai Bench of the Tribunal in the case of Chetana Vs
CIT(E) [2025] 176 taxmann.com 713 (Mumbai-Trib).

5.

Per contra, the Ld. Departmental Representative (DR), has relied on the impugned order of the ld.CIT(E) and pleaded that assessee can now Rotary Club :: 4 ::

file fresh application as per the amended provision under clause (iv)(B) of Section 80G(5).

6.

We have considered the rival submissions, perused the order of the co-ordinate Bench of Tribunal in the case of Aalayam Vs The CIT(E) referred supra and reviewed the materials available on the record. The assessee applied under clause (iii) of the first proviso to sub-section (5) of Section 80G of the Act, seeking approval under section 80G of the Act on 22.10.2024. The Ld. CIT(E) rejected the application as not maintainable, citing that the assessee did not file the application before 30.06.2024, as stipulated in CBDT Circular No.7/2024 dated 25.04.2024. However, it is important to note that clause (iv) has been added to the first proviso to Section 80G(5) by the Finance Act, 2024, effective from 01.10.2024, allowing the assessee trust to apply for approval under section 80G(5) at any time following the commencement of its activities. This new provision is separate from clause (iii), which governed the previous timeline. The Ld. CIT(E) issued the order rejecting the application on 16.06.2025, after the amendment had taken effect, deeming it non-maintainable. Therefore, we direct the Ld.CIT(E) to consider the application submitted on 22.10.2024 as filed under clause (iv)(B) of the first proviso to Section 80G(5) and to make a decision in accordance with the law. In light of the above and respectfully Rotary Club :: 5 ::

following the order of the co-ordinate Bench of Tribunal in the case of Aalayam Vs The CIT(E), the appeal submitted by the assessee is allowed for statistical purposes only.

7.

In the result, the appeal filed by the assessee is allowed for statistical purposes.

Order pronounced on the 6th day of October, 2025, in Chennai. (एस. आर. रघुनाथा)
(S.R. Raghunatha)
लेखा सद᭭य/ACCOUNTANT MEMBER (मनु कुमार िगįर)
(MANU KUMAR GIRI)
᭠याियक सद᭭य/JUDICIAL MEMBER

चे᳖ई/Chennai,
ᳰदनांक/Dated: 06th October, 2025. VM, Sr.PS
1. अपीलाथŎ/Appellant
2. ŮȑथŎ/Respondent
3. आयकरआयुƅ/CIT, Chennai / Madurai / Salem / Coimbatore.

4.

िवभागीयŮितिनिध/DR 5. गाडŊफाईल/GF

ROTARY CLUB OF MADRAS NORTHWEST EDUCATIONAL & CHARITABLE TRUST,TIRUVALLUR vs CIT, EXEMPTIONS,, CHENNAI | BharatTax