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1958 (10) TMI 11 - SUPREME COURTWhether the sum of ₹ 26,000 received by the appellant on April 22, 1950, is dividend as defined in section 2(6A)(c) of the Act? Held that:- The sum of ₹ 26,000 received by the appellant on April 22, 1950, was dividend as defined in section 2(6A)(c) of the Act and is chargeable to tax. Appeal dismissed.
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