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1967 (4) TMI 30 - ANDHRA PRADESH HIGH COURTAssessees are the trustees - WTO held that the shares of the beneficiaries were not determinate and, therefore, the trustees were liable for assessment on the whole of the wealth, and that the section 21(4) of the WT Act were clearly applicable - Tribunal was justified in holding that the provisions of section 21(4) of the WT Act did not apply
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