volume of business likely to be available to, and the capital structure and earning prospects of, the applicant will be adequate; (c) the interests
conditions are fulfilled, namely:— (a) that the applicant company has minimum capital structure referred to in section 8; (b) that the general character
Section 6A in The Insurance Act, 1938
6A. Requirements as to capital structure and voting rights and maintenance of registers of beneficial owners of shares ... insurance business, unless it satisfies the following conditions, namely:-- (i) that the capital of the company shall consist of equity shares each having a single
Provision for securing compliance with requirements relating to capital structure
(1) For the purpose of enabling any public company carrying on life or general ... health insurance or re-insurance business to bring its capital structure into conformity with the requirements of section 6A, an officer appointed on this behalf
forty five days from the liquidation commencement date, detailing (a) the capital structure of the corporate person; (b) the estimates of its assets and liabilities
days of such change; (b) any change in the ownership or capital structure of the warehouseman, within fifteen days of such change; (c) any change
account of fee paid to RoC for increase in
capital structure in view of the decision of Hon'ble Supreme
Court reported ... 3630/DEL/2013
this was paid to RoC for increasing the capital structure of the
company. Out of this, an amount of Rs.357678
operation,
6. The TPO has compared entities having different working capital
structure with the appellants operations which has different working
capital requirement without making ... operations which has
different working capital requirements.
Erred by comparing entices having different working capital
structure with the Appellant's EOU operations having different
inextricably linked with the setting up of the factory building/capital structure of
the company and, therefore, such income has to be treated as capital ... These receipts are
inextricably linked with the setting up of the capital structure of the assessee-
company. They must, therefore, be viewed as capital receipts
undertaking of even date and / or changing the capital
structure of the BRC and other reliefs which are sought in the plaint ... issuing any further shares in BRC and / or from
changing the capital structure thereof in any manner whatsoever.
However, the Court found that the differences