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Sunday 10 January 2016

The Court held that where the assessee had taken a loan and advanced part of the loan to another company, the interest paid on the loan taken was in the nature of expenditure wholly and exclusively laid out for the purpose of earning interest income and was to be netted against income from other source as per section 57(iii) of the Act. Vodafone South Limited v CIT – (2015) 94 CCH 0026 Del HC


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