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Interest Disallowance Not Applicable for Stock-in-Trade Advance; Deduction Allowed u/s 36(1)(iii) of Income Tax Act.
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....Disallowance of interest as non allowable expenditure - As long as the payment of advance was not for acquisition of fixed assets but only for acquiring stock-in-trade, assessee was entitled for deduction under Section 36(1)[iii] of the Act. - HC....