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1978 (11) TMI 89 - ITAT GAUHATIExtract: .......of intimation of his share income from the firm but as pointed out above, the firm itself has filed its return on 7th Sept, 1971. In view of this, we find that the AAC was justified in reducing the ITO to redetermine the quantum of penalty. We, therefore, have no hesitation to confirm the order of the AAC. 6. In the result, the appeal is dismissed.
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