COMMISSIONER OF INCOME-TAX versus DALMIA MAGNESITE CORPORATION
The clear omission from the record development waiver firm clearly resulted in the reorganization of a partner consisting of two partners of the firm consisting of three partners (companies), with only one partner planning to acquire another partner. The partner survived and the other dissolved without a summit. The firm was dissolved because the partnership with a partner income tax officer could not be continued before the development waiver offered under section 155 (5) was withdrawn, the transaction was not a sale or transfer amount. Valid Indian Income Tax Act, 1961, Sections 154 and 155 (5)
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