DALMIA DAIRY INDUSTRIES LTD. versus COMMISSIONER OF INCOME-TAX
Capital expenditures, considering the fact that the sale of factories in Pakistan is satisfied with the export of cement, legal costs are not provided to calculate the cost of cement and interest, hence the expenditure on fixed assets and business expenses. Capital in nature was the Indian Income Tax Act, 1961, section 37 [Saharanpur Electric Supply Company Limited v CIT (1971) 82 ITR 405 (all) not agreed]
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