- Saturday, October 15, 2011, 16:01
- Income Tax
- 9 views
DCIT, Baroda Vs Liberty Phosphate (ITAT Ahemdabad) -It was not in dispute that in respect of an another building at Udaipur, this assessee itself has capitalised the expenditure. However, the impugned repairs were in respect of an another factory building situated at F-227, Mewar Industrial Area Udaipur, wherein the company has carried out manufacturing of Fertilizer; namely, Single Super Phosphate. One of the ingredients of the said fertilizer is stated to be sulphuric ..
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- Saturday, February 6, 2010, 13:51
- Income Tax Case Laws
- 184 views
S. 2 (24) (x) provides that amounts received by an assessee from employees towards PF contributions etc shall be “income”. S. 36 (1) (va) provides that if such sums are contributed to the employees account in the relevant fund on or before the due date specified in the PF etc legislation, the assessee shall be entitled to a deduction. The second Proviso to s. 43B (b) provided that any sum paid by the assessee as an employer by way of contribution to any provident etc..
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