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Learn MoreBefore the Tribunal, the assessee relied on the decision of the Tribunal in ACIT v. Ramesh M. Damani, [ITA No. 5143 (Mum.) of 2006].
Held:
Following the judgment of the Mumbai Bench of the Tribunal in the case of ACIT v. Ramesh M. Damani, (supra), it is held that the payment had been made to stock exchange on account of short payment of margin money. This is only a compensatory payment under the rules of the stock exchange which is allowable as revenue expenditure as the same is not for infraction of law.