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1986 (9) TMI 19 - RAJASTHAN HIGH COURTExtract: .......in favour of the assessee and against the Revenue as under The Tribunal was not justified in holding that the expenditure incurred by the assessee in serving tea, coffee, pan, meals, etc., to the customers is in the nature of entertainment expenditure and not a, business expenditure. It is an allowable deduction. There will be no order as to costs.
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