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1990 (8) TMI 60 - HC - Income TaxExtract: ....... that the amounts written back cannot be treated as income under section 41(1) appears to us to be obvious in view of our court s judgment in the case of J. K. Chemicals Ltd. v. CIT 1966 62 ITR 34. Under the circumstances, no useful purpose will be served in directing the Tribunal to state the case. Rule stands discharged with no order as to costs.
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