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The assessee as such exclusively not claimed the interest expenditure against the salary income rather his stand is to be construed that he claimed interest expenditure on the ground that such interest bearing funds were used for making investment in the company. In such situation he cannot be visited with penalty u/s 271(1)(c) - Tri

Income Tax - The assessee, as such exclusively not claimed the interest expenditure against the salary income, rather, his stand is to be construed that he claimed interest expenditure on the ground t .....

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