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    <title>Mandatory statutory transfer to the Central Government was not dividend, so dividend distribution tax did not apply.</title>
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    <description>Mandatory statutory transfers of funds to the Central Government under section 23(2) of the Exim Act were treated as not constituting dividend, so section 115-O dividend distribution tax did not apply. The Tribunal followed its coordinate bench decision in the assessee&#039;s own later years, noted that the Revenue showed no change in facts or law, and upheld deletion of the tax demand. The Revenue&#039;s appeals for all years were dismissed.</description>
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      <title>Mandatory statutory transfer to the Central Government was not dividend, so dividend distribution tax did not apply.</title>
      <link>https://www.taxtmi.com/highlights?id=98302</link>
      <description>Mandatory statutory transfers of funds to the Central Government under section 23(2) of the Exim Act were treated as not constituting dividend, so section 115-O dividend distribution tax did not apply. The Tribunal followed its coordinate bench decision in the assessee&#039;s own later years, noted that the Revenue showed no change in facts or law, and upheld deletion of the tax demand. The Revenue&#039;s appeals for all years were dismissed.</description>
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