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1992 (4) TMI 114 - AT - Income TaxExtract: ....... and parcel of the professional firm. In view of the aforesaid facts and circumstances and findings, we agree with the conclusion drawn by the CIT(A) holding that the assessee is not entitled to investment allowance. Accordingly, we uphold the order of the CIT(A) and reject the ground taken by the assessee. 9. In the result, the appeal is dismissed
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