COMMISSIONER OF INCOME-TAX versus ASIA MATCH CO. (P.) LTD
Company Surex Computation Deduction of Profitable Company Receivable by Companies The Indian Companies (Profit) Circuit Act, 1964, Schedule I, R1 refuses to deduct the Company Sortex Appellate Tribunal's approval of the ITO-approved deduction The commissioner rejected. Retention of ITO Appellate Tribunal's Income Tax (Appeal) Under section 1 I, the appeal was allowed under the Indian Companies (Profit) Circuit Act, Sections 11 and 13, after considering the appeal and considering the merits of the case. ?
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