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1988 (2) TMI 24 - HC - Income TaxExtract: .......the ground. In our opinion, the requirements of section 32A(2)(b)(iii) are fully satisfied and the assessee is entitled to claim deduction on account of investment allowance. We answer question No. 2 referred to us in the affirmative, that is to say, in favour of the assessee and against the Revenue. The reference is answered accordingly. No costs.
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