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ITAT resolved multiple taxation issues in favor of the assessee. The tribunal upheld deductions under section 36(1)(iii), rejected revenue's appeals regarding section 14A expenses, and allowed reclassification of income. Regarding Ind-AS accounting method transition, the tribunal found the claim bona fide and revenue-neutral, permitting adjustment with safeguards against double taxation. The tribunal dismissed revenue's appeals on TDS under section 194C for statutory authority payments and remanded unverified purchase transactions for fresh consideration, granting the assessee an opportunity to substantiate transaction genuineness before the Assessing Officer.