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1987 (3) TMI 66 - HC - Income TaxExtract: ....... 137 ITR 652, covers the issue and the question is answered thus The Tribunal was right in holding that the assessee did not acquire any capital asset or advantage or benefit of an enduring nature by incurring an expenditure on lease in respect of which deduction was claimed. The question is answered in favour of the assessee. No order as to costs.
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