I.T.A. NO.819/KB OF 1997-98, DECIDED ON 4TH APRIL, 1998. versus I.T.A. NO.819/KB OF 1997-98, DECIDED ON 4TH APRIL, 1998.
Income Tax Ordinance 1979 Section 80C, First Schedule, Part 1, Para CCC, Subparagraph (ii) CL (a) and (b) Power Policy, 1994 Tax Rate Not for Private Sector Power Projects Pipeline Project The subsidiary contract for the design, acquisition, construction, testing and commissioning of the pipeline project and its associated facilities for fuel supply to the subsidiary Habco Assisi claims that the total contract revenue under Section 80C is being received. [As set forth in sub-paragraph (ii) KCL (c). The first schedule was laid on a confirmation issued by the Government of Pakistan on January 16, 1995, in which other energy-related infrastructures were provided by the Prime Minister for the private sector generation project in Pakistan. Was expanded to ? The Task Force on Energy Assessing Officer dismissed the claim on the basis that the pipeline project was not a power project and the assessment was under First Schedule, Part I, Para CCC, Income Tax Ordinance Treaty KCL (B). Taxes are imposed. The first appellate authority confirmed that the government would be considered part of the power sector in the energy sector through certification of the pipeline project, so the appellate tribunal had earlier set aside the appellate authority's directive. Charges tax under clause / item (a), subparagraph (2), Para CCC, Part I of the Ordinance Schedule, which gives the observer 6% of the amount that neither the plan nor the power plan. Was \ nor change a key key contract \
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