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1996 (6) TMI 19 - KERALA HIGH COURTExtract: .......er , which the company was agitating against the assessment order and disputing the liability to pay the amount assessed. In such circumstances, it cannot be held that the non-recovery of tax was due to negligence or breach of duty on the part of the petitioners. In the result, I quash exhibits P-20, P-21 and P-22. The original petition is allowed.
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