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    <title>2018 (2) TMI 1791 - BOMBAY HIGH COURT</title>
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    <description>Interest and dividend income was treated as a substantial question on whether it is attributable to the assessee&#039;s core activity and not separately assessable as income from other sources; the Court admitted the issue and remitted it to the Tribunal. The deductibility of administrative expenses in computing interest and dividend income was also admitted as a question of law and sent back for determination. A further question was admitted on whether profits from sale of ships and related assets form part of total turnover for applying the proviso to Section 115VI(1); this too was remitted to the Tribunal for adjudication.</description>
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