Political contribution deductions require assessee-specific proof before cash-back allegations can justify disallowance or unexplained-money additions...
TPA - during the year under consideration the assessee had done a reasonably good business - The resultant profit was offered for taxation in India. Therefore, transferring of profit from India, the basic ingredient to invoke the provisions of section 92, remains unproved. - AT
TPA - during the year under consideration the assessee had done a reasonably good business - The resultant profit was offered for taxation in India. Therefore, transferring of profit from India, the basic ingredient to invoke the provisions of section 92, remains unproved. - AT
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