Illustrations : Where assessee-company purchased 37 properties by certain funds which were generated through increase in share capital by issuance of shares at premium by alleged shell companies, transactions in question were arrangements in respect of properties where person providing consideration was fictitious and hence, transactions fell under section 2(9)(D) – Krishna Sudama Marketing (P.) Ltd. v. Union of India – [2024] 160 taxmann.com 724 (Calcutta)