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3 results for “charitable trust”+ Section 144Aclear

Sorted by relevance

Allahabad16Pune7Delhi7Jaipur7Lucknow4Bangalore4Cuttack3Mumbai2Kolkata2Chennai2Ranchi1Ahmedabad1

Key Topics

Section 26312Section 26012Section 119Section 12A6Section 11(1)(a)3Charitable Trust3Exemption3Deduction3Limitation/Time-bar3

PARADIP PORT AUTHORITY,JAGATSINGHPUR vs. DCIT,CIRCLE-1(1), CUTTACK

In the result, all the three appeals of the assessee are allowed

ITA 208/CTK/2024[2003-04]Status: DisposedITAT Cuttack25 Sept 2024AY 2003-04
Section 11Section 11(1)(a)Section 12ASection 260Section 263

trust had already applied its receipts for charitable purpose, therefore, it is entitled for the exemption available to it. Ld. AR further submitted that in the order, the ld. Pr.CIT himself has admitted that the assessment order is though could be held as erroneous but since the assessee is not liable to tax as it has made the necessary application

PARADIP PORT AUTHORITY,JAGATSINGHPUR vs. DCIT,CIRCLE1(1), CUTTACK

In the result, all the three appeals of the assessee are allowed

Revision u/s 2633
ITA 210/CTK/2024[2005-06]Status: DisposedITAT Cuttack25 Sept 2024AY 2005-06
Section 11Section 11(1)(a)Section 12ASection 260Section 263

trust had already applied its receipts for charitable purpose, therefore, it is entitled for the exemption available to it. Ld. AR further submitted that in the order, the ld. Pr.CIT himself has admitted that the assessment order is though could be held as erroneous but since the assessee is not liable to tax as it has made the necessary application

PARADIP PORT AUTHORITY,JAGATSINGHPUR vs. DCIT,CIRCLE-1(1), CUTTACK

In the result, all the three appeals of the assessee are allowed

ITA 209/CTK/2024[2004-05]Status: DisposedITAT Cuttack25 Sept 2024AY 2004-05
Section 11Section 11(1)(a)Section 12ASection 260Section 263

trust had already applied its receipts for charitable purpose, therefore, it is entitled for the exemption available to it. Ld. AR further submitted that in the order, the ld. Pr.CIT himself has admitted that the assessment order is though could be held as erroneous but since the assessee is not liable to tax as it has made the necessary application