COMMISSIONER OF INCOME-TAX versus TRUSTEES OF H. E. H. NIZAM\'S MISCELLANEOUS, TRUST
Reference Income Trust Trust Assessment The deduction trust obtained from other sources diverted the money awarded to the trustees by overriding title to the trustees' compensation process 1971 and the Court 19722 assessment 73. And was not part of the trust's income. Sections 57 (i) and 19 (i) against the decision of the High Court were able to deduct 7 2 1/2% of the trust's net income by revenue but ii. 1981 82, 1982 83, 1983 and 84 and fact 1984 85 85 85 85 The fact that the High Court was right in dismissing the application for direct reference to the Indian Income Tax Act, 616161, sections 19, 57 and 256
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