Friday, June 28, 2019

AO can't invoke sec. 41(1) to tax surplus arising from assignment of loan to third party

IT: Where assessee assigned its loan obligation to a third party by making a payment in terms of present value of future liability, surplus resulting from assignment of loan was not cessation or extinguishment of liability as loan was to be repaid by third party and, therefore, same could not be brought to tax in hands of assessee

from www.taxmann.com Latest Case Laws https://ift.tt/2ZXRK7g

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