Dismissing the appeal of the Revenue the Court held that, Tribunal on meticulous appreciation of evidence on record found that no expenditure was incurred by assessee directly or indirectly to earn exempt dividend income, no disallowance was to be made under section 14A. (AY. 2006-07)
PCIT v. Infosys BPO Ltd. (2021) 277 Taxman 320 (Karn.)(HC)
S. 14A : Disallowance of expenditure-Exempt income-No expenditure was incurred directly or indirectly-No disallowance can be made.