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2008 (10) TMI 17 - HIGH COURT DELHIWhether assessee should be permitted to set off brought forward losses in respect of, sale & purchase of shares, pertaining to A.Y. 1994-95 against income of A.Y 1995-96 - no material on record to suggest that activity of the assessee, that is, earning income from sale/purchase of shares was in any way different from the activity carried on in A.Y 1994-95 -tribunal rightly hold that the facts of A.Y. 1994-95 were similar to the year under consideration i.e., 1995-96 – revenue appeal dismissed
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