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    <title>2009 (10) TMI 650 - ITAT MUMBAI</title>
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    <description>The Tribunal held that income from property let out to Rajinder Hiralal Grover was classified as business income due to commercial exploitation, while income from property let out to Lear Seating (P.) Ltd. was considered income from house property. The issue concerning Roamware (India) (P.) Ltd. was remanded for reassessment. The appeal was partially allowed for statistical purposes, with specific directions for the Assessing Officer to re-examine certain aspects, while Ground No. 2 was dismissed.</description>
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      <link>https://www.taxtmi.com/caselaws?id=122797</link>
      <description>The Tribunal held that income from property let out to Rajinder Hiralal Grover was classified as business income due to commercial exploitation, while income from property let out to Lear Seating (P.) Ltd. was considered income from house property. The issue concerning Roamware (India) (P.) Ltd. was remanded for reassessment. The appeal was partially allowed for statistical purposes, with specific directions for the Assessing Officer to re-examine certain aspects, while Ground No. 2 was dismissed.</description>
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      <pubDate>Thu, 01 Oct 2009 00:00:00 +0530</pubDate>
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