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
41 : (1975) 101 ITR
796] when he said:
“An undertaking by a business organisation is
ordinarily assumed to be for profit unless expressly
or by necessary implication or by eloquent
surrounding circumstances the making of profit
stands loudly negatived .... A pragmatic condition,
written or unwritten, proved by a prescription of
profits or by long years, of invariable practice or
spelt