S. 37(1): principles for deduction of business expenditure reiterated
The question that was posed by the High Court was whether
acceptance of the agreements, affidavits and proof of payment would
debar the assessing authority to go into the question whether the
expenses claimed would still be allowable under Section 37 of the Act.
This is a question which the
High Court held was required to be answered
in the facts of each case in the light of the decision of this Court in
Swadeshi Cotton Mills Co. Ltd. Vs. Commissioner of Income Tax 1967 (63) ITR 57 and Lachminarayan Madan Lal vs. Commissioner of Income Tax West Bengal 1972 (86) ITR 439
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