, , IN THE INCOME TAX APPELLATE TRIBUNAL C BENCH: CHENNAI , . , BEFORE SHRI V. DURGA RAO, JUDICIAL MEMBER AND SHRI S. JAYARAMAN , ACCOUNTANT MEMBER I .T.A. NO. 43/CHNY/2020 ASSESSMENT YEAR : 20 1 9 - 20 2 0 M/S. THE TAMILNADU DR. M.G.R. MEDICAL UNIVERSITY, NO.69, ANNA SALAI, GUINDY, CHENNAI 600 032 [PAN: AACAT 0098E] VS. THE DEPUTY COMMISSIONER OF INCOME TAX (EXEMPTIONS), NO.121, NUNGAMBAKKA M HIGH ROAD, NUNGAMBAKKAM, CHENNAI 600 034. ( /APPELLANT) ( /RESPONDENT) / APPELLANT BY : MR. S. SRIDHAR, ADVOCATE /RESPONDENT BY : MR. ABANI KARTA NAYAK, CIT / DATE OF HEARING : 09.09 .2020 / DATE OF PRONOUNCEM ENT : 16.09.2020 / O R D E R PER V. DURGA RAO, JUDICIAL MEMBER : THIS APPEAL FILED BY THE ASSESSEE IS DIRECTED AGAINST THE ORDER OF THE LEARNED COMMISSIONER OF INCOME TAX ( EXEMPTIONS ), CHENNAI IN I.T.A. NO. CIT(E) NO.3(6)/2017 - 18 DAT ED 28.09.2018 RELEVANT TO THE ASSESSMENT YEAR 20 1 9 - 20 2 0. 2. IN THIS CASE, THERE IS A DELAY OF 404 DAYS IN FILING THE APPEAL. THE REGISTRAR OF THE TAMIL NADU DR. M.G.R. MEDICAL UNIVERSITY (WHO IS THE I . T . A NO . 43 /CHNY/20 20 : - 2 - : ASSESSEE BEFORE US) FILED AN AFFIDAVIT EXPLAINING TH E DELAY IN FILING THE APPEAL. 3. THE LEARNED COUNSEL FOR THE ASSESSEE HA D SUBMITTED THAT THE DELAY IN FILING THE APPEAL WAS NEITHER INTENTIONAL NOR WANTONLY . IT IS ONLY THE DIFFICULTY OF THE OFFICE IN - CHARGE TO UNDERSTAND THE ORDER PASSED BY THE LEARNE D COMMISSIONER OF INCOME TAX (EXEMPTIONS) AND LEARNED COUNSEL SUBMITTED THAT THE ASSESSEE BEING A MEDICAL U NIVERSITY CREATED BY THE STATUTES OF THE TAMIL NADU ACT 37 OF 1987 , NO HARM WOULD BE CAUSED TO THE DEPARTMENT , IF THE DELAY IS CONDONED AND HENCE SUB MITTED THAT THE DELAY MAY BE CONDONED AND THE ORDER PASSED BY THE LEARNED COMMISSIONER OF INCOME TAX (EXEMPTIONS) MAY BE SET ASIDE AND THE MATTER BE REMITTED BACK TO THE LEARNED COMMISSIONER OF INCOME TAX (EXEMPTIONS) FOR FRESH CONSIDERATIONS. HE ALSO UND ERTOOK THAT ALL THE RELEVANT INFORMATIONS WILL BE FILED BEFORE THE LEARNED COMMISSIONER OF INCOME TAX (EXEMPTIONS). 4. ON THE OTHER HAND, THE LEARNED DEPARTMENTAL REPRESENTATIVE STRONGLY OPPOSED THE CONDONATION OF DELAY. 5. WE HAVE HEARD BOTH THE SIDES A ND PERUSED THE AFFIDAVIT FILED BY THE REGISTRAR OF THE ASSESSEE. THE RELEVANT PORTION OF THE AFFIDAVIT EXPLAINING THE DELAY IN FILING THE APPEAL IS EXTRACTED AS UNDER: I STATE THAT THE ORDER OF THE CIT (EXEMPTIONS) WAS RECEIVED IN OUR OFFICE ON 01.10.2 018 AND I STATE THAT THE CONSEQUENCE OF THE ORDER WAS NOT UNDERSTOOD BY THE OFFICIALS IN - CHARGE OF THE ACCOUNTS DEPARTMENT AND I STATE I . T . A NO . 43 /CHNY/20 20 : - 3 - : THAT THE CHARTERED ACCOUNTANT, MR. T. BASKARAN WAS APPOINTED TO HANDLE THE INCOME TAX CASES PERTAINING TO THE ASSESSMENT YEAR 2017 - 18 ON 26.062019 WHILE I STATE THAT THE CONSEQUENCES OF NOT CHALLENGING THE ORDER OF THE CIT (EXEMPTIONS) IN REJECTING THE PLEA FOR GRANT OF RECOGNITION U/S.10(23C)(VI) OF THE INCOME TAX ACT, 1961 WERE EXPLAINED TO HIM. I STATE THAT THE PETITIONE R / APPELLANT WAS ASSISTED BY THE ACCOUNTS DEPARTMENT AND FURTHER AUDITED BY THE LOCAL FUND AUDIT DEPARTMENT OF THE STATE GOVERNMENT IN AS MUCH AS I STATE THAT IN THE ABSENCE OF PROPER PROFESSIONAL ADVICE, THE ISSUES ARISING FROM THE INCOME TAX WERE NOT AD DRESSED / FOCUSSED BY THE PETITIONER / APPELLANT ON THE PRESUMPTION OF ITS CREATION BY THE LOCAL ACT, NAMELY, THE TAMILNADU DR. M.G.R. MEDICAL UNIVERSITY CHENNAI ACT, 1987 (TAMIL NADU ACT37 OF 1987). I STATE THAT THE RECOGNITION U/S.10(23C)(VI) OF THE ACT WOULD HAVE DIRECT IMPACT IN THE TAX EXEMPTION COMPUTATION CONTEMPLATED IN RELATION THERETO AND IN THE ABSENCE OF SUCH RECOGNITION, THE ASSESSMENT FOR THE ASSESSMENT YEAR 2017 - 18 WAS COMPLETED BY THE RESPONDENT HEREIN ON 11.12.2019. I STATE THAT IN THE PR OCESS OF CHALLENGING THE ASSESSMENT ORDER, THE ORDER OF THE PCIT (EXEMPTIONS) DATED 28.09.2018 WAS ALSO CHALLENGED BEFORE THE JURISDICTIONAL BENCH OF THE INCOME TAX APPELLATE TRIBUNAL BELATEDLY BASED ON THE PROFESSIONAL ADVICE RECEIVED. ACCORDINGLY, I STA TE THAT THE APPEAL BEFORE THE JURISDICTIONAL BENCH OF THE INCOME TAX APPELLATE TRIBUNAL WAS PREPARED AND FILED ON 08.01.2020 BELATEDLY BY 404 DAYS AND I STATE THAT THE DELAY IN FILING THE APPEAL BEFORE THE BENCH WAS NEITHER WILFUL NOR DELIBERATE BUT DUE TO CIRCUMSTANCES BEYOND OUR CONTROL WHILE I STATE THAT THE PETITIONER / APPELLANT WAS ESTABLISHED BY THE STATE ACT AND IN VIEW OF THE SAID FACT, THE PETITIONER / APPELLANT PRESUMED FOR ENJOYING TAX EXEMPTION UNDER THE ACT WHICH IS CONSIDERED TO BE INCORRECT STAND ACCORDING TO THE REVENUE AND REALIZED AFTER GETTING PROPER PROFESSIONAL ADVICE FROM THE CHARTERED ACCOUNTANT AND COUNSEL ON RECORD ON THE NECESSITY TO FILE THE APPEAL BEFORE THE BENCH TO CHALLENGE THE IMPUGNED ORDER. 6. FROM THE ABOVE, IT IS CLEAR THAT THE ASSESSEE IS A STATE UNIVERSITY AND FROM THE AFFIDAVIT WE FIND THAT THE OFFICE IN - CHARGE OF THE ACCOUNTS I . T . A NO . 43 /CHNY/20 20 : - 4 - : DEPARTMENT WA S NOT IN A POSITION TO UNDERSTAND THE CONSEQUENCE OF THE ORDER AND THAT APART THE ASSESSEE BEING A UNIVERSITY CREATED BY THE STATE , I.E. TAMILNADU DR. M.G.R. MEDICAL UNIVERSITY CHENNAI ACT, 1987 (TAMIL NADU ACT 37 OF 1987) . SO FAR AS THE CONDONATION OF DELAY IS CONCERNED, WE ARE OF THE VIEW THAT WHILE CONSIDERING THE CONDONATION OF DELAY , WHAT IS TO BE SEEN IS WHETHER THE INTEREST O F THE REVENUE WILL STAND PROTECTED EVEN WHILE RE COGNIZING THE RIGHT OF THE ASSESSEE TO EXERCISE THE STATUTORY REMEDIES AVAILABLE TO THE ASSESSEE AND THAT THE STATUTORY RIGHT OF AN APPEAL CANNOT BE MADE REDUNDANT BY DISMISSING THE APPLICATION FOR CONDONATIO N OF DELAY AND REJECTING THE APPEAL ON TECHNICAL GROUNDS. IN OUR CONSIDERED VIEW, WHEN SUBSTANTIAL JUSTICE AND TECHNICAL CONSIDERATIONS ARE PITTED AGAINST EACH OTHER, THE CAUSE OF SUBSTANTIAL JUSTICE DESERVES TO BE REFERRED. IN VIEW OF THE ABOVE, THE DEL AY OF FILING THIS APPEAL IS CONDONED. 7. SO FAR AS THE MERITS OF THE CASE IS CONCERNED, THE ASSESSEE IS A TAMILNADU DR. M.G.R. MEDICAL UNIVERSITY CREATED UNDER THE TAMIL NADU ACT 37 OF 1987 WITH THE FOLLOWING OBJECTS: I. TO PROVIDE FOR INSTRUCTION AND TRAINI NG IN SUCH BRANCHES OF LEARNING AS IT MAY DETERMINE IN THE FIELD OF MEDICAL SCIENCE; II. TO PROVIDE FOR RESEARCH AND FOR THE ADVANCEMENT AND DISSEMINATION OF KNOWLEDGE IN THE FIELD OF MEDICAL SCIENCE; III. TO INSTITUTE DEGREES, DIPLOMAS AND OTHER ACADEMIC DISTINCTI ONS; IV. TO INSTITUTE LECTURESHIPS, READERSHIPS, PROFESSORSHIPS AND OTHER TEACHING POSTS REQUIRED BY THE UNIVERSITY AND TO APPOINT PERSONS TO SUCH LECTURERSHIPS, READERSHIPS, PROFESSORSHIPS AND OTHER TEACHING POSTS; I . T . A NO . 43 /CHNY/20 20 : - 5 - : V. TO INSTITUTE AND AWARD FELLOWSHIPS, SCHOLARS HIPS, STUDENTSHIPS, BURSARIES, EXHIBITIONS, MEDALS AND PRIZES IN ACCORDANCE WITH THE STATUTES; VI. TO INSTITUTE RESEARCH POSTS AND TO APPOINT PERSONS TO SUCH POSTS; VII. TO ORGANIZE ADVANCED STUDIES AND RESEARCH PROGRAMMES FROM TIME TO TIME; VIII. TO ORGANIZE CONTINUING MEDICAL EDUCATION PROGRAMME; IX. TO DEVELOP RESEARCH FACILITIES AND X. TO ENCOURAGE CO - OPERATION AMONG THE COLLEGES, UNIVERSITY LABORATORIES, HOSPITALS AND INSTITUTIONS IN THE UNIVERSITY AREA AND TO CO - ORDINATE WITH OTHER UNIVERSITIES AND OTHER AUTHORITIES IN SUC H MANNER AND FOR SUCH PURPOSES AS THE UNIVERSITY MAY DETERMINE. 8. THE ASSESSEE WITH THE ABOVE OBJECTS HAD APPLIED FOR EXEMPTION U/S.10(23C)(VI) OF THE INCOME TAX ACT, 1961 BY FILING FORM NO. 56D ON 05.09.2017. THE LEARNED COMMISSIONER OF INCOME TAX (EXEM PTIONS) CALLED FOR A REPORT WITH THE ASSESSING OFFICER. THE ASSESSING OFFICER SUBMITTED A REPORT ON 24.09.2018 RECOMMENDING NOT TO GRANT EXEMPTION U/S.10(23C)(VI) OF THE INCOME TAX ACT, 1961 ON THE GROUND THAT THE ASSESSEE HAD NOT SUBMITTED RELEVANT MATER IALS AND THAT THE ASSESSING OFFICER HAD ISSUED A LETTER DATED 08.11.2018. THE LEARNED COMMISSIONER OF INCOME TAX (EXEMPTIONS) BY CONSIDERING THE SAME, HAS REJECTED THE EXEMPTION FOR THE ASSESSEE UNIVERSITY BY OBSERVING THAT THOUGH THE UNIVERSITY IS IN EXI STENCE, HOWEVER, THE PRESCRIBED AUTHORITIES ARE NOT ABLE TO GIVE EXEMPTION , AS THE NATURE OF ITS GENUINENESS OF THE INSTITUTION SOLELY FOR THE REASON THAT THE ASSESSEE DID NOT FURNISH ANY INFORMATION FOR NECESSARY VERIFICATION. SINCE, THE ASSESSEE FAILED TO FURNISH THE RELEVANT INFORMATION FOR NECESSARY EXAMINATION, HIS OFFICE IS FORCED TO REJECT THE APPLICATION FILED IN FORM NO.56D U/S.10(23C)(VI) OF THE INCOME TAX ACT, 1961. I . T . A NO . 43 /CHNY/20 20 : - 6 - : 9. AFTER CONSIDERING THE ENTIRE FACTS AND ARGUMENTS OF BOTH THE SIDES , WE FIND THAT THE ASSESSEE U NIVERSITY WAS CREATED WITH AN OBJECT OF DISCHARGING VARIOUS IMPORTANT ASPECTS O N MEDICAL EDUCATION AND IT IS CLEAR FROM THE OBJECTS OF THE ASSESSEE . T HE LEARNED COMMISSIONER OF INCOME TAX (EXEMPTIONS) REJECTED THE EXEMPTION CLAIM ED BY TH E ASSESSEE U/S.10(23C)(VI) ONLY ON THE GROUND THAT THE ASSESSEE HAS NOT FURNISHED RELEVANT MATERIALS BEFORE THE AUTHORITIES BELOW. WE FIND THAT THERE IS A LAPSE ON THE PART OF THE ASSESSEE. HOWEVER, KEEPING IN VIEW THE ASSESSEE STATUS FOR WHICH IT WA S EST ABLISHED MAINLY TO DISCHARGE VARIOUS IMPORTANT ASPECTS ON MEDICAL EDUCATION, WE ARE OF THE OPINION THAT ONE MORE OPPORTUNITY SHOULD BE GIVEN TO THE ASSESSEE TO SUBSTANTIATE HIS CASE BEFORE THE LEARNED COMMISSIONER OF INCOME TAX (EXEMPTIONS). THEREFORE, WE SET ASIDE THE ORDER PASSED BY THE LEARNED COMMISSIONER OF INCOME TAX (EXEMPTIONS) AND WE REMIT THE ISSUE BACK TO THE LEARNED COMMISSIONER OF INCOME TAX (EXEMPTIONS) TO EXAMINE THE ENTIRE ISSUE AFRESH AND DECIDE IN ACCORDANCE WITH LAW. WE ALSO FURTHER DIR ECT THE ASSESSEE THAT WHEN THE DATE IS GIVEN BY THE LEARNED COMMISSIONER OF INCOME TAX (EXEMPTIONS) FOR HEARING, THE ASSESSEE SHOULD FILE ALL RELEVANT NECESSARY INFORMATION WITHOUT FAIL. THE LEARNED COUNSEL WHO APPEARED BEFORE US, MR. S. SRIDHAR HAS ALREADY SUBMITTED THAT ALL NECES SARY INFORMATION WOULD BE FILED BEFORE THE LEARNED COMMISSIONER OF INCOME TAX (EXEMPTIONS). IN VIEW OF THE ABOVE, THE APPEAL FILED BY THE ASSESSEE IS ALLOWED FOR STATISTICAL PURPOSE. I . T . A NO . 43 /CHNY/20 20 : - 7 - : 1 0 . IN THE RESULT, THE APPEAL FILED BY THE ASSESSEE IS ALLOWED FOR STA TISTICAL PURPOSE . O RDER PRONOUNCED IN THE OPEN COURT ON 16 TH SEPTEMBER, 2020 IN CHENNAI. SD/ - ( . ) ( S. JAYARAMAN ) /ACCOUNTANT MEMBER SD/ - ( ) ( V. DURGA RAO ) /JUDICIAL MEMBER / CHENNAI, / DATED: 16 TH SEPTEMBER , 2020 IA , SR. P.S /COPY TO: 1. /APPELLANT 2. /RESPONDENT 3. () /CIT(A) 4. /CIT 5. /DR 6. /GF