I.T.A. NO.2170/KB OF 1998-99 versus I.T.A. NO.2170/KB OF 1998-99
The Income Tax Ordinance 1979 section 66A (l) (AA) was amended under section 66A of the Income Tax Ordinance 1979 determining the powers of the inspector of the Additional Commissioner to modify the order of the Deputy Commissioner, As shown in this account. The appellate tribunal notice under section 66A was again completed and finally decided, but with different personalities and the Assessing Officer was instructed to pay the amount already invested in the highest investment resources. Refrain from diagnosis. The appellate tribunal accuracy statistics that the reviewer encountered in the latest notice were separate figures, extracted from the same ledger account, assessed by the officer or inspector additional commissioner. Source, he could not create a "new point" on which the additional commissioner of inspection could be used. Jurisdiction under Section 66A, Income Tax Ordinance, 1979 If the Assessing Officer failed to properly inspect the Air or Revising Officer ledger accounts and extract correct data from these accounts, it was his own fault and his assessment. Not a car for which a fresh notice or fresh jurisdiction can be considered timely and a re-inspection by the Additional Commissioner. , Showing himself the wrong way and going beyond his jurisdiction, the appellate tribunal declared illegal by the appellate tribunal as instructed by the Inspector Additional Commissioner.
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