The Comm.of Income Tax. Hyd. v. M/S Ushodayas Shipping Pvt.Ltd. Hyd.
Case brief
What is this about?
In a revision referring a matter under Section 256 of the Income Tax Act, the High Court held that breaking ships into parts constitutes manufacturing. Consequently, the assessee is entitled to claim investment allowance under Section 32A for plant used in such activity.
What did the court decide?
Reference answered in the affirmative that ship-breaking activity amounts to manufacturing entitling the assessee to investment allowance.