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1996 (5) TMI 75 - DELHI HIGH COURTExtract: .......n challenged further. In this view of the matter, following the decision of this court in the assessee s own case Padam Shree N. N. Mohan v. CIT 1984 150 ITR 92 in respect of the assessment year 1970-71, we answer the questions in the affirmative, i.e., in favour of the Revenue and against the assessee. There will, however, be no order as to costs.
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