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1999 (5) TMI 608 - ITAT MUMBAIExtract: .......ection 41(2) of ₹ 1,61,760 should be considered as profits arising from the business conducted by the company which is located in the backward-area entitled to the benefits under section 80HH. Therefore, the Assessing Officer is directed to recompute 80HH relief according to our above findings. 11. In the result, the appeal is partly allowed.
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