A.C. PAUL versus TAX RECOVERY OFFICER, TIRUNELEVELI
Tax reimbursement estimates for both Indian and foreign income are not remittable to India. The relief count reached the average rate of clubbing Indian and foreign income, which did not individually assess Indian and foreign income. July 25, 1969 Pakistan's directive to treat relief income as gross income is not correct. The law contradicts the provisions of the Indian Income Tax Act, 1961, section 220 (7).
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