COMMISSIONER OF INCOME-TAX versus K.C.P. LTD.
Finding the reference by the tribunal that the land and buildings were handed over is a question of fact whether in the absence of a deduction for exchange deadlines under section 35 (2A), neither can the ITO be considered. Can be raised, so the question is there was the donation of immovable property which in the absence of an accurate transfer of title by registered conveyance is not the Indian Income Tax Act, 1961, Sections 35 (2A) and 256 (2). Can send
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