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The Delhi HC in PCIT vs. Inderjit Singh Sodhi HUF held that interest, whether on compensation or enhanced compensation received on acquisition of land u/ss 28 or 34 of the Land Acquisition Act, 1894, shall be taxable as 'Income from Other Sources' u/s 56(2)(viii), distinguishing the SC's decision in CIT vs. Ghanshyam HUF and concurring with the P&H HC's ruling in Mahender Pal Narang vs. CBDT on the amended provisions of Section 56(2).