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Delhi High Court ruling that buy-back of own shares is reduction of share capital and section 56(2)(x) is not applicable.
In a significant ruling, the Delhi High Court has held that a company’s buy-back of its own shares is a reduction of share capital and not an acquisition of property for the purposes of section 56(2)(x) of the Income-tax Act, 1961. The judgment provides important clarity on the legal character of buy-back transactions and limits over-expansive application of deeming provisions.
THE LORD'S CONSULTANCY .
Apr 155 min read
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