The Tribunal held that mark-to-market loss arising on foreign exchange hedging contracts as on the balance-sheet date represented an allowable business expenditure. The disallowance made by the Assessing Officer was deleted. (AY. 2006-07 to 2012-13).
Dy. CIT v. Bodal Chemicals Ltd. (2025) 127 ITR 194 / 177 taxmann.com 448 (Ahd.)(Trib.)
S. 37(1) : Business expenditure-Mark-to-market loss on foreign exchange hedging-Allowable deduction.
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