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2010 (2) TMI 1056 - HC - Income TaxExtract: .......that the interest bearing funds were utilized for business purposes in respect of which he has deleted the disallowance of interest. 4. In view of the above finding recorded by both the Appellate Authorities, we are of the view that no substantial question of law arises out of the order of the Tribunal. We, therefore, summarily dismiss this Appeal.
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