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The first issue raised in the present appeal is against the non-admittance of the appeal by the CIT(A) on the ground that tax liability arising on account of returned income has not been paid by the assessee.The second issue raised on merits is against the disallowance made on account of bank charges as expenses while calculating the interest income for the respective years.

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Income Tax Act, 1961—Business Disallowance—CHANDER MOHAN MERWAH vs. Asstt. CIt.[2020] 25 ITCD Online 064 (ITAT-DELHI)