2008 (5) TMI 703
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....d by an order dated 30th November, 2006 passed by the Income Tax Appellate Tribunal, Delhi Bench 'B' in I.T. [S.S.] Appeal No.128/Del/2003 and 282/Del/2003 relevant for the block period 1988-89 to 1998- 99. A search was conducted in the premises of the Assessee who was in the business of trading in "Saria" and other steel items through a proprietary concern M/s Kamal Steel. It appears that....
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....material on the basis of which the Assessing Officer could have come to the conclusion that the net profit was 5%.. In our opinion the estimate of net profit does not raise any substantial question of law. There is no material on the basis of which the Assessing Officer could come to the conclusion that the net profit was 5%. It may be noted that the CIT (A) had taken the net profit @ 2.5% whic....
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