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    <title>2011 (4) TMI 1297 - ITAT MUMBAI</title>
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    <description>The Tribunal ruled in favor of the assessee regarding the taxability of the amount received for outright supply of technical documentation, interest charged under sections 234A and 234B, adoption of the rate of conversion of foreign currency, and taxability of the amount received for procurement services. The Tribunal deleted additions made by the Assessing Officer and confirmed by the CIT(A) for various assessment years, dismissing the revenue&#039;s appeals. The decision was pronounced on April 27, 2011.</description>
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