THE COMMISSIONER OF INCOME TAX vs. M/S CANARA BANK
In the result, we do not find any merit in this appeal, the same fails
ITA/332/2016HC Karnataka02 Nov 2020
Bench: ALOK ARADHE,H.T. NARENDRA PRASAD
Section 132Section 143(3)Section 260Section 260A
57,773/- and Rs.1,63,93,330/- for Assessment
Years 1996-97 and 1997-98 respectively on the assets
leased out to M/s Rajender Steels Ltd. The Assessing
6
Officer
was
directed
to
allow
depreciation
of
Rs.1,52,80,650/- and Rs.1,14,60,488/- for Assessment
Years 1996-97 and 1997-98 respectively on the assets
leased