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1998 (1) TMI 68 - HC - Income TaxExtract: ....... applying rule 6D a disallowance should have been made by aggregating expenditure incurred on various tours undertaken by an employee in a year. I.T.C. No. 57 of 1995 to the extent of questions Nos. 1 and 2 and ITC No. 48 of 1995 and ITC No. 40 of 1995 are dismissed. In the facts and circumstances of the case there will be no order as to the costs.
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