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1979 (9) TMI 95 - AT - Income TaxExtract: .......lid reason for admitting it. Secondly, it is conceivable that assuming that the repayment was made by a cheque, the cheque might have been a bearer cheque and no one can say who had cashed it. It follows that the addition relating to the corresponding interest is also sustained in each of the two assessments. 5. Both the appeals are partly allowed.
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