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1968 (6) TMI 8 - MADRAS HIGH COURTWhether it is permissible for the ITO while deciding the applicability of section 23A to take the assessment result of the accounting year in question and view the additions to the returned profits as a result of disallowance of claims for deduction on the ground that the outgoing had not been proved, as part of the profits of the accounting year - Held, yes
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