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That on the facts and circumstances of thecasethe Ld. CIT(A) has erred in upholding the order of the AO computing long term capital gain on sale of agricultural land at Rs. 65,43,367/- as against Rs. 17,31,267/- computed by the appellant.

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Section 45, 48, 50C of Income Tax Act, 1961— capital gain—SMT. ALKA JAIN vs. Asstt. CIT.[2020] 25 ITCD Online 013 (ITAT-DELHI)