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1991 (3) TMI 57 - BOMBAY HIGH COURTExtract: .......s is covered by the judgments of our court s two judgments in Orient Club v. CWT 1982 136 ITR 697 and Willingdon Sports Club v. C. B. Patil, Third Addl. WTO 1982 137 ITR 83 and answer the questions thus The assessee club is not an assessable entity under the Wealth-tax Act and cannot, therefore, be taxed as such. There will be no order as to costs.
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