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Registration under Section 12AB remains valid until its expiry or cancellation. Over the years, amendments (2004, 2014, 2019, 2020, 2022, 2023) have expanded the Commissioner’s powers to cancel registrations for various violations. From 01‑04‑2021, Section 12AB replaced Section 12AA. From 01‑04‑2022, new provisions govern cancellation, including provisional registrations.
Registration u/s 12AB is central to the tax‑exempt status of charitable and religious institutions. However, the principal commissioner or commissioner is empowered to cancel such registration if substantive violations indicate that the trust no longer functions in accordance with its stated charitable purpose.
(a) Income applied for purposes other than stated objects.
(b) Non‑incidental business activity or failure to maintain separate books.
(c) Use of income for private religious purposes.
(d) Benefits to a particular religious community or caste.
(e) Activities not genuine or not as per registration conditions.
(f) Noncompliance with other material laws where violation has attained finality.
(g) Filing incomplete / false / inaccurate information in Form 12A(1)(ac).
Below is a refined and structured explanation of the grounds and consequences of cancellation u/s 12AB.
Using income for purposes that do not fall within the definition of “charitable purpose” u/s 2(15), or for objects not approved at the time of registration, constitutes a fundamental violation. Such misapplication indicates deviation from the trust’s core mandate and justifies cancellation
Non‑Incidental Business Activities / Failure to Maintain Separate Books
If a trust conducts business activities that are not incidental to the attainment of its charitable objects or fails to maintain separate books of account as required U/s 11(4A), it ceases to qualify for exemption. Persistent non‑compliance may result in withdrawal of registration
Utilising funds for the benefit of specific individuals, families, or private religious institutions is impermissible. Section 13 strictly prohibits the use of charitable funds for private religious purposes, and a violation undermines the institution’s public charitable character.
Activities or income applied exclusively for the benefit of a particular religious community or caste attract Section 13(1)(b). Such exclusivity is inconsistent with the inclusive and public‑oriented nature of charitable registration.
Registration may be cancelled if the activities are not genuine, funds are diverted or siphoned, activities materially deviate from approved objects, or prescribed conditions of registration are violated. This strikes at the root of the trust’s credibility and charitable status.
Upon cancellation, all income becomes taxable at the Maximum Marginal Rate (MMR). The trust loses the core tax benefit that accompanies charitable registration. Income taxed under normal provisions (five heads of income); Sections 11 & 12 not available. Cancellation of Section 80G Approval.
The trust can no longer accumulate income U/s 11(2) or claim the benefit of the deemed application. This directly impacts financial planning and project execution.
Once registration U/s 12AB is cancelled, 80G approval becomes invalid. Consequently, donors lose the deduction benefit, significantly reducing donor confidence and charitable inflows. Which are directly impacting donor confidence and funding. Eligibility for Section 10 Exemptions: Once 12AB is cancelled, other Section 10 exemptions (except specific restricted clauses) become available.
If violations are found to be continuous or systemic, past assessments may be reopened. This increases exposure to tax demands, penalties, and prolonged litigation.
Exit Tax under Section 115TD: Cancellation deemed as conversion to non‑charitable form → Accreted income taxed at maximum marginal rate. Cancellation triggers a deemed conversion of a charitable institution into a non‑charitable entity. The institution must pay exit tax on accreted income.
This is one of the most financially impactful consequences.
Cancellation may lead to collateral consequences such as loss of FCRA credibility, ineligibility for CSR funding, and withdrawal of governmental or institutional support. This may significantly hamper ongoing and future operations.
Assessment Impact: AO will compute income accordingly for all subsequent years. Appeals against cancellation orders lie with the Income Tax Appellate Tribunal (ITAT) under Section 253(1)(c).
Cancellation of registration U/s 12AB is a serious regulatory action designed to address substantive, not minor, violations. While procedural lapses may not normally trigger cancellation, systemic deviation, misuse of income, or non‑genuine activities can lead to severe tax and operational consequences. To preserve registration and retain tax benefits, trusts must ensure:
While isolated or procedural lapses may not, by themselves, justify cancellation, systemic deviation from objects, lack of genuineness of activities, or misuse of income strikes at the root of eligibility for exemption. Accordingly, strict alignment between approved objects, actual activities, and statutory compliance is essential to preserve registration and the attendant tax benefits.
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