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1976 (9) TMI 55 - ITAT COCHINExtract: .......oing into the unnecessary questions of law argued before us about the legality of the imposition of penalty and about the period for which default should in the light of s. 148 proceedings be computed. 7. Therefore we find that there was reasonable cause for the failure to file a voluntary return. The appeal is allowed and the penalty is cancelled.
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