M/S QUEEN'S EDUCATIONAL SOCIETY vs. COMMR.OF INCOME TAX
C.A. No.-005167-005167 - 2008Supreme Court16 Mar 2015
Bench: The Uttarakhand High Court, Nainital, May Be Gleaned From The Facts Of One Of Them, Namely, The Queen’S Educational Society Case. The Appellant Filed Its Return For Assessment Years 2000-2001 & 2001-2002 Showing A Net Surplus Of Rs.6,58,862/- & Rs.7,82,632/- Respectively. Since The Appellant Was Established With The Sole 2
Section 10Section 10(22)Section 260A
247 ITR 658] ).
Therefore, the character of the recipient of income
must have character of educational institution in
India to be ascertained from the nature of the
activities. If after meeting expenditure, surplus
remains
incidentally
from the activity carried on by
the educational institution, it will not cease to be one
existing
solely
for educational purposes.
In other
words, existence