The Tribunal held that since the provisions of section 115VO of the Act provided that the profit derived by the tonnage tax company was to be excluded from the book profits of the company for the purpose of section 115JB of the Act, the Commissioner (Appeals) was justified in directing the Assessing Officer to exclude the income derived from shipping activities from the computation of book profits.(AY.2012-13 to 2014-15)
Dy. CIT v.Jagson International Ltd. (2022) 97 ITR 176 (Delhi) (Trib)
S. 115JB : Book profit-Shipping company-Profits derived by tonnage tax is excluded from book profits.[S. 115VO]