Heard standing counsel appearing for the appellant in both the cases, which arise from the order of the Income-tax Appellate Tribunal for the year 1996-97. The assessee was granted registration as charitable institution. It has operations both in Kerala as well as in Tamil Nadu. Department has granted exemption for the income from Kerala operations on the ground that assessee was applying the income for charitable purposes. However, disallowance was made for the income relating to operations in Chennai for the reason that respondent- assessee incurred expenditure for furnishing and maintenance of guest house for the author of the trust and his wife. Disallowance is made by reference to Section 13(1)(c)(ii) of the I.T. Act which disentitles a charitable organisation for exemption if any part of such income or any property of the trust or institution is during