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The timestamp is only as accurate as the clock in the camera, and it may be completely wrong.IN THE INCOME TAX APPELLATE TRIBUNAL AHMEDABAD '' B " BENCH - AHMEDABAD Before S/Shri Rajpal Yadav, JM, & Manish Borad, AM. CIT(A) deleted addition of Rs.33,11,115/- and confirmed the addition of Rs.55,731/- and for Asst. Years 2011-12 & 2012-13 respectively have been earned from short term deposits made with Banaskantha District Co-op. (4) To provide loans to needy members for business, trade. (5) To obtain cash credit from the central financial institution and provide facility of loan to the members. In fact similar view is taken by the Andhra Pradesh High Court in the case of COMMISSIONER OF INCOME-TAX Asst. ANDHRA PRADESH STATE COOPERATIVE BANK LTD., reported in (2011) 200 TAXMAN 220/12. We also find that similar issue was dealt by the Tribunal, Delhi Bench in ITA No.2607/Del/2012 for Asst. M/s Jawala Co-operative Urban Thrift & Credit Society Ltd. We have heard rival parties and have gone through the material placed on record. 41 vide its order dated , for Assessment Year 1990--92 and further by Mumbai Tribunal vide order dated in I. Barbadians are people born on Barbados and people born elsewhere who have at least one Barbadian parent and maintain cultural ties to the nation.Euthydemus I was, according to Polybius a Magnesian Greek.His son, Demetrius, founder of the Indo-Greek kingdom, was therefore of Greek descent from his father at minimum.
Year 2012-13 addition was on account of disallowance of interest u/s 80P(2)(i) of the Act. society and not eligible for deduction u/s 80P(2)(d) but alternatively deduction u/s 80P(2)(a)(i) is also available on such interest income earned through short term deposits with banks and, therefore, ld. Karnataka High Court in the case of Tumkur Merchants Souharda Credit Co-op. (3) FUNDS (3) Funds will be raised from the following ways :-share obtain funds. As early as 1680, the island was home to seventy thousand people.Until 1960, high birth and death rates generated a large number of young people. The assessee has raised various grounds of appeal for both the years but the solitary issue in all these grounds is regarding denial of deduction u/s 80P(2)(a)(i) of the Act at Rs.55,731/- for Asst. Year 2012-13 for interest income earned from short term deposits with banks out of liquid funds with the assessee. Briefly stated facts of the case are that the assessee is a credit co-op.