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2013 (3) TMI 820 - BOMBAY HIGH COURTExtract: .......urchase of goods, no occasion to deduct tax at source would arise as the transaction was on principal to principal basis. Since the decision of the Tribunal upholding the order of the Commissioner of Income Tax (A) is based on finding of fact, we see no reason to entertain questions (vi) to (viii). 8. Appeal is admitted on questions (iii) and (iv).
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