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1997 (4) TMI 53 - HC - Income TaxActual Cost, Capital Employed, Computation Of Capital, Interest Payable, New Industrial Undertaking, Payments Not Deductible, Special Deduction, Written Down Value
The High Court of Delhi ruled in favor of the Revenue in a case concerning the assessment year 1978-79. The court held that sums of money received for share allotment, which remained with the company without shares being allotted, constituted deposits under section 40A(8) of the Income-tax Act. The court also determined that the actual cost of depreciable assets, not just the written down values, should be included in the capital employed in the industrial undertaking under section 80J. The judgment was based on the assessee's treatment of the amounts as deposits and the Supreme Court's decision in Lohia Machines Ltd. v. Union of India.
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