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The scheme of demerger of which sanction is sought appears to be only a device for avoidance of obligation towards capital gains tax and stamp duty and also falls foul of Explanation to Section 2(19AA) of the Income Tax Act of 1961. The scheme of de-merger cannot therefore be sanctioned - HC

Companies Law - The scheme of demerger of which sanction is sought appears to be only a device for avoidance of obligati .....

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