Wednesday 20 January 2016

Period of holding of ESOP shall be counted from date of exercising of option and not from date of of

IT: Where sweat equity shares were offered to assessee by employer was accepted immediately and assessee exercised option after three years and on same date shares were also sold, gains would be short-term capital gain or, in alternative, income from other sources, not liable for exemption under section 10(38) or section 54EC

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