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The High Court of Rajasthan ruled in favor of the Revenue and against the assessee in a case involving deductions under section 80P(2) of the Income Tax Act for the assessment year 1975-76. The Tribunal's decision to allow a deduction of Rs. 98,323 out of the claimed Rs. 3,51,154 was upheld. The Tribunal's deduction of 72% for overhead expenditure was deemed correct, and the entire expenditure under section 37 of the Act was not allowed against the taxable income. The judgment followed a previous decision in the case of Kota Co-operative Marketing Society Ltd. v. CIT [1994] 207 ITR 608 (Raj).
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