As far as the one-point increase in the depreciation coefficient was concerned, the advantage was, it was claimed,
offset by the fact that any losses posted were deductible, under Article 39 CA of the General Tax Code, only to the tune of one quarter of the profits
subject to ordinary corporation tax which each member of the EIG earned from its activities. That tax advantage was intended, moreover, to
offset the specific constraints or restrictions imposed for purposes of the grant of approval
...[+++].