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1982 (9) TMI 161 - ITAT NAGPURExtract: .......a coparcenary interest. In other words cl. (a) will not apply to those properties which are specifically exempt under cl. (a) of s. 34. In the result, the position is that even for rate purposes the value of the lineal descendants share in the residential house cannot be included. Respectfully following this decision we allow the assessee s appeal.
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