Thursday, 10 April 2014

Losses from share transaction due to bonus stripping can be carried forward as sec. 94(8) applies to

IT : Where assessee purchased certain shares immediately prior to allotment of bonus shares and after allotment of those shares original shares whose value had reduced to almost 50 per cent were sold, said transaction being in nature of 'bonus stripping' was covered under section 94(8) and, since said section covered only 'units' and not 'securities', assessee's claim for set off of said loss could not be disallowed


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