property which was gifted to her by her father was challenged. While computing the capital gain arising from the sale of the property ... assessee had perfected her title to the property by removing the cloud case on it by a rival claimant and this amounted to both addition
paying him a sum of Rs. 6,943. She claimed that in computing the capital gains arising on the sale of the property, the said ... amount the assessee perfected her title to the property by removing the cloud cast on it by a rival claimant and this involved an improvement
paying him a sum of Rs. 6,943. She claimed that in computing the capital gains arising out of the sale of the property ... amount the assessee perfected her title to the property by removing the cloud cast on it by a rival claimant and this involved an improvement
Section provides the mode of computation for the income
chargeable under the head “capital gains”. It shall be computed by deducting
from the full value ... computed by the Assessing Officer and similarly, the cost
of improvement which was stated to be construction of compound wall had also
been computed
Rules in the year 2005 that though petitions were filed under a Computer Code, category and nomenclature of Matters under Article 227 of the Constitution ... Application or Matter under Article 227 of the Constitution, but the cloud about the distinct nature and character of the remedy was removed
value of the relief claimed even where it is not easy to compute it in money terms. Once it is held that the plaintiff ... their, own valuation at a token of one hundred and raise a cloud over the title of the defendant. If the court is left powerless
these definite averments, it cannot be said that plaintiff was incapable of computing the figure exactly due to the plaintiff at the time of institution ... Fees Act . Lack of bonafides on the part of the plaintiff would cloud this right available to the plaintiff and the Court would be compelled
only the manufacture of cinematographic film, which according to the Tribunal, cloud not refer to the processing of exposed cinematographic film. The Tribunal also held ... always claim the deduction in the subsequent year and the matter of computing the admissible investment allowance was only an omission which could be rectified
agricultural income from his plantation known as the Silver Cloud Estate, in the "previous year" ending with 30th June, 1954. The petitioner purchased ... whole of that payment should be deducted before his assessable income was computed. The Department held that the petitioner was entitled only to the relief
justified in not deducting the sum of Rs. 6,943 in computing the capital gain. The assessee appealed to the Tribunal. The Tribunal,
after going ... amount under the compromise decree, had perfected her title by removing the cloud cast on it by a rival claimant and that this involved both