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    <title>2015 (3) TMI 1243 - ITAT MUMBAI</title>
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    <description>The appellant&#039;s appeals against the disallowance of interest expense, computation of Book Profit u/s. 115JB of the Act, and charging of interest u/s. 234A, 234B, and 234C of the Act were partially allowed for statistical purposes. The Tribunal directed the Ld. CIT(A) to reconsider the disallowance of interest expense issue in light of a Co-ordinate Bench&#039;s findings and pending issues before the Honorable Special Court. The computation of Book Profit issue was considered consequential to the decision on interest expense, while the matter of charging interest was remanded to the AO for recalculating interest liability in accordance with the law.</description>
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    <pubDate>Thu, 05 Mar 2015 00:00:00 +0530</pubDate>
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      <title>2015 (3) TMI 1243 - ITAT MUMBAI</title>
      <link>https://www.taxtmi.com/caselaws?id=189481</link>
      <description>The appellant&#039;s appeals against the disallowance of interest expense, computation of Book Profit u/s. 115JB of the Act, and charging of interest u/s. 234A, 234B, and 234C of the Act were partially allowed for statistical purposes. The Tribunal directed the Ld. CIT(A) to reconsider the disallowance of interest expense issue in light of a Co-ordinate Bench&#039;s findings and pending issues before the Honorable Special Court. The computation of Book Profit issue was considered consequential to the decision on interest expense, while the matter of charging interest was remanded to the AO for recalculating interest liability in accordance with the law.</description>
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      <pubDate>Thu, 05 Mar 2015 00:00:00 +0530</pubDate>
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