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1998 (12) TMI 96 - AT - Income TaxExtract: .......he Act. 7. Since we are cancelling the order passed by the AO under section 201 on the ground that the assessee can not be treated to be an assessee deemed to be in default on the ground of bona fide belief, we do not adjudicate on merit the taxability of the disputed amounts in the hands of the employees. 8. In the result, the appeals are allowed.
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