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2010 (7) TMI 1004

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....Chandrashekar, Advocate. Respondent By : Smt. Jason P. Boaz. O R D E R PER SMT. P. MADHAVI DEVI : This appeal is filed by the assessee for the Assessment Year is 2004- 05. The appeal was initially heard on 17.11.2009 disposing off the appeal. As regards Ground No.3, it was held that the assessee has not pressed the said ground of appeal. Subsequently, the assessee filed a Misc. Petitio....

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....wever, before the CIT(A), the assessee contended that the said amount should not have been treated as capital gains but should have been considered as capital receipt. The CIT(A) observed that the assessee has voluntarily shown the amount as capital gains and also claimed loss of Rs. 5,17,69,775 in the computation of income and the Assessing Officer has allowed the said computation of income and t....

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.... return of income disclosing his true income and on the basis of the income so disclosed, the assessee is required to make a self-assessment and to compute the tax payable on such income and to pay the same in the manner provided by the Act and this amounts to an admission of tax liability. Thus, according to the learned DR, the assessee's return being an admission of tax liability which has been ....