COMMISSIONER OF INCOME TAX 1 vs. M/S. HINDUSTAN PETROLEUM CORPORATION LTD
C.A. No.-009295-009295 - 2017Supreme Court03 Aug 2017
Bench: HON'BLE MR. JUSTICE A.K. SIKRI
Section 80Section 80H
disallowed the deduction claimed
by the assessees holding that they did not engage in the production
or manufacture activity because of the reason that LPG was
produced and manufactured in refineries and thereafter there was no
change in the chemical composition or other properties of the Gas in
the activity of filling the cylinder. This view was affirmed by
Commissioner