COMMNR.,INCOME TAX, THIRUVANANTHAPURAM vs. K. RAVINDRANATHAN NAIR
C.A. No.-005173-005173 - 2007Supreme Court13 Nov 2007
For Respondent: K. Ravindranathan Nair
Section 28Section 80H
68,811, in the total turnover
while arriving at export profits under Section 80HHC(3) of the
Act, as it stood at the material time.
6. According to A.O., the gross total income of the assessee
was Rs.1,94,08,220 from which an amount of Rs.1,74,13,200
(90%) was deducted in terms of clause