Saha v The Commissioner of Inland Revenue
A. Leave to appeal is granted.
B. The approved ground for appeal is whether s CG14(2) and/or s CG23(5) of the Income Tax Act 1994 applied to the forfeiture of the shares of the appellant.
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A. Leave to appeal is granted.
B. The approved ground for appeal is whether s CG14(2) and/or s CG23(5) of the Income Tax Act 1994 applied to the forfeiture of the shares of the appellant.