K. R. VENKATESALU versus WEALTH TAX OFFICER
Impact of amending section 17 of the Applicable Laws Act 1 4 The officer assessing the condition for initiating a reassessment process from 1989 should have reason to believe that the property has survived the assessment or assessment at a very low rate. Or else it is evaluating itself. In subsequent years, the review of the high cost of property in the Indian Wealth Tax Act, 1957, Section 17, the re-evaluation of the Limitation Act, the amendment of sections 1/7 to 1 of 1989, the effect of the period is now linked to the amount of wealth. The assessment has escaped the India Wealth Tax Act, 1957, Section 17
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