AdvertisementGodrej & Boyce Mfg. Co. Ltd. Vs DCIT (Bombay High Court) The case concerned the interpretation and constitutional validity of Section 14A of the Income-tax Act, 1961, and Rule 8D of the Income-tax Rules in relation to expenditure incurred for earning income not forming part of total income. The assessee challenged the Tribunal’s order, which had remanded the matter to the Assessing Officer for fresh examination under Section 14A(2), and also filed a writ petition challenging the constitutional validity of Section 14A and Rule 8D. For Assessment Year 2002-03, the assessee filed its re...