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Section 251 empowers CIT (Appeals) to remit case back to Assessing Officer instead of deciding it
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Corporate Tax
Section 251 empowers CIT (Appeals) to remit case back to Assessing Officer instead of deciding it
Posted on
on
October 14, 2014
Tenet Tax Daily October 11 2014
By
tenettax-team
Corporate Tax
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Sums paid to DTH operators for placement of channels in a particular frequency couldn’t be deemed as royalty
Co. incurring abnormal losses due to winding-up of relation with key clients are excludible from comparable lists