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Case Law Details

Case Name : Udaipur Sahkari Upbhokta Thok Bhandar Ltd.Vs Commissioner of Income-tax (Supreme Court of India)
Related Assessment Year :
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Where the assessee-society was storing the controlled commodities in its godowns as part of its own trading stock, it was not entitled to claim deduction for the margin of profit between issue price and sale price of the controlled commodities under section 80P(2)(e).

FULL TEXT OF THE CASE LAW IS AS FOLLOWS:-

IN THE SUPREME COURT OF INDIA

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