Friday, 14 November 2014

Gains on renouncement of right of ESOP within 36 months of offer would give rise to short-term capit

IT : Where assessee acquired rights to purchase shares under ESOP which was a capital asset and he transferred said right within 36 months of offer, period of holding of right in question being less than 36 months, gain arising from transfer of said right was to be assessed as short-term capital gain


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