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1993 (6) TMI 248 - HC - Income TaxExtract: .......he receipt of the said amount by way of reimbursement of tax liability also does not fall within the ambit of section 28(iv) because the receipt of the said amount is not a benefit arising from the business of the assessee. In our view, the Tribunal had rightly declined to frame the question as referred to us. Rule discharged. No order as to costs.
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