000 00998npc a2200157Ia 4500
008 140613s2013 xx 000 0 und d
060 _a336.2
100 _aRAJARATNAM, S
245 _aTax titbits
260 _c2013
300 _a295-296
520 _aDifference between reimbursement and contributions and remitted the claim to the tribunal to be decided on the same lines as in Sandur Manganese ans Iron Ores Ltd.'s case. The payment in this case was made to a Mutt, which was running a school inwhich children of assessee's employees would be preferred for admission. The image, which such companies, would have for any good work done by way of provision for drinking water or improving the public utilities in the area or helping education and medical institutions sholud merit deduction with he possible advantage for assessee's business and a large benefit to economy as a whole.
653 _aTAXATION
773 _oP14959
_nM
_921351
_011162
_tMANAGEMENT ACCOUNTANT
942 _2ddc
_cARTCL
999 _c11937
_d11937