The conclusion that the Assessee did not exist solely for ...
Case Laws Income Tax
October 10, 2015
The conclusion that the Assessee did not exist solely for educational purposes, but for the purposes of profit on the basis that it had advanced the aforesaid sums to Col. Satsangi and/or his family members who were involved in the affairs of the Assessee, is unwarranted. - exemption under Section 10(22)/10(23C) allowed - HC
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