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1959 (6) TMI 20 - BOMBAY HIGH COURTExtract: .......377; 98,280 per annum, was not deductible in determining the profits of the business. (iii) The legal and other expenses incurred for the leases of the manganese mines were not admissible deductions under section 10(2)(xv) of the Income-tax Act. The assessee-company to pay the costs of the Commissioner of Income-tax. Reference answered accordingly.
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