Mehta Parikh & Co. vs Commissioner Of Income Tax

Whether there is any material to justify the assessment of Rs. 30,000 from out of the sum of Rs. 61,000 representing the value of high denomination notes encashed on 18th January 1946 as income from undisclosed sources --- Held No. Whether the assessment of Rs. 30,000 is justified for excess profits tax and business profits tax purposes when Revenue Authorities did not find it was from undisclosed business profits --- Held Not answered (academic).

šŸ”’ Direct Access Blocked

For your security and to prevent unauthorized automated access, individual judgment links cannot be opened directly. Please access this content via Google Search or the TaxPundit Search Portal.

AI Deep Dive
0/5 selected

Membership Required

Unlock official PDFs for all landmark cases.

JOIN NOW āž”
Shopping Cart