Held, that the assessee had made the investment in the securities out of common funds, the assessee also had non-interest bearing funds, and there was reduction in the investment during the year under consideration. The assessee also claimed to have received the dividend income through real time gross settlement. Directed to verify calculation vis a vis calculation accepted in earlier years and restrict disallowance accordingly. (AY. 2011-12)
Oswal Woollen Mills Ltd. v. Add. CIT (2022)98 ITR 521 (Chad) (Trib)
S.14A : Disallowance of expenditure-Exempt income-Interest free funds-Dividend through RTGS-Directed to verify calculation vis a vis calculation accepted in earlier years and restrict disallowance accordingly. [R.8D]