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    <title>Income Tax Commissioner Validates Development Expense Claims Using Section 37(1); Dismisses Unsupported Cash Receipt Allegations by Assessing Officer.</title>
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    <description>Allowability of development expenses - CIT(A) was justified in allowing the claim of estimated development expenses booked by the assessee in the Profit &amp; Loss Account on matching concept by adopting scientific method allowable u/s 37(1) of the Act and thus the theory adopted by the Ld. A.O of the assessee having received the development charges in cash is just in air and has no legs to stand for since there is no evidence to prove it and it is merely on surmises and conjectures. - AT</description>
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    <pubDate>Wed, 14 Apr 2021 13:26:03 +0530</pubDate>
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      <title>Income Tax Commissioner Validates Development Expense Claims Using Section 37(1); Dismisses Unsupported Cash Receipt Allegations by Assessing Officer.</title>
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      <description>Allowability of development expenses - CIT(A) was justified in allowing the claim of estimated development expenses booked by the assessee in the Profit &amp; Loss Account on matching concept by adopting scientific method allowable u/s 37(1) of the Act and thus the theory adopted by the Ld. A.O of the assessee having received the development charges in cash is just in air and has no legs to stand for since there is no evidence to prove it and it is merely on surmises and conjectures. - AT</description>
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      <pubDate>Wed, 14 Apr 2021 13:26:03 +0530</pubDate>
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