By a judgment delivered on October 1, 2008, in Vijay Ship Breaking Corpn and Ors v CIT, the Supreme Court of India has held as follows :
(1) Profits derived from Shipbreaking are eligible for deductions under Sections 80-HH and 80-I of the Income-tax Act, 1961 ("Act").
(2) Usance Interest paid to a non-resident is NOT subject to deduction therefrom of income-tax at source ("TDS") under Section 195 of the Act.