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1994 (6) TMI 208 - MADRAS HIGH COURTExtract: ....... by the Tribunal that there was wilful nondisclosure of agency transactions in the facts and circumstances of the case is justified. Consequently, levy of penalty is justified. Therefore, the contention of the petitioner cannot at all be accepted. We see no reason to entertain these tax revision cases and the same is dismissed. Petitions dismissed.
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