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1979 (9) TMI 112 - AT - Income TaxExtract: .......that the payment of commission was excessive or unreasonable. The same position applies in the present case also. The ratio of the Calcutta High Court decision in 118 ITR 752 also supports the assessee s case. In view of the above we are of the opinion that no interference in the AAC s order is called for. 5. In the result, the appeal is dismissed.
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