Judgement of the Madras High Court on the question whether income tax and excess profits duty payable in England can be allowed to be deducted in arriving at the total profits` of persons not resident in British India for purposes of assessment to Indian Income tax (Case of the Eastern extension Australasia and China Telegraph Company.)

Ministry/ Department/ Residency Finance Department
Branch Separate Revenue
From Year / Date
(YYYY-MM-DD)
1921-09
To Year / Date
(YYYY-MM-DD)
1921-09
Identifier PR_000001470831
File No./Reference No./Sheet No./Folio No. Progs., Nos. 369, September 1921
Part No. PART C
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