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Provisions expressly mentioned in the judgment/order text.
The appeals pertain to assessments for the years 2015-16, 2016-17, and 2017-18. This case involves multiple legal and factual issues related to income tax assessments for a banking institution, focusing on disallowances and write-offs. - The tribunal's decision touches upon complex aspects of tax law, including the interpretation of provisions related to bad debts, CSR expenses, ESOS, depreciation on investments, and others. Each issue involves interpreting specific sections of the Income Tax Act, considering the factual circumstances of the bank's operations and the legal precedents.
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