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1995 (4) TMI 12 - HC - Income Tax

The High Court of Madras held that the assessee's activities of sorting, grading, clipping, and stemming chillies did not constitute processing or manufacturing. The court referred to previous judgments and the definition of "industrial company" to support its decision. The Tribunal's ruling that the assessee is not an industrial company for tax purposes was upheld.

 

 

 

 

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