Nuclear Power Corpn. of India Ltd., In re
Pendency of proceedings-Question of taxability-The A.O. had held that the gains arising out of impugned deal were taxable as per S. 44BBB. The other party had filed an appeal. The question raised i [LexDoc Id : 423168]
Sampanna Kuries (P) Ltd. vs DCIT
Bad-debts-Manner of writing off-Ay- 1995-96.
Unless the debt is written off by debiting the P&L A/c and crediting the debtor’s account or written off from amount due from the d [LexDoc Id : 427178]