M/S Coromandel Cenents Ltd. Hyd v. Commissinoer of Income Tax Ap I Hyd
Case brief
What is this about?
The High Court answered reference questions under Section 256(1) of the Income Tax Act challenging the disallowance of power tariff deductions. It held that the liability had not accrued or been acknowledged clearly, answering all questions against the assessee and in favor of the revenue.
What did the court decide?
Questions referred under Section 256(1) of the Income Tax Act, 1961 answered against the applicant and in favor of the department.