Wednesday, 23 September 2015

No disallowance of sec. 80-IA relief without any proof that excess profits were shown due to arrange

IT/ILT: Where since Assessing Officer had not conclusively proved fact that there was an arrangement between assessee and its AE by which transactions were so arranged as to produce more than ordinary profits in hands of assessee, disallowance of part deduction under section 10A by applying provisions of section 80-IA(10), was not justified

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