DATA DISTRIBUTION SERVICES versus DEPUTY COMMISSIONER OF INCOME-TAX, CIRCLE 8, COMPANY ZONE-I, LAHORE
Income Tax Ordinance 1979 Sections 65, 59 (1) and 23 (18) Constitution of Pakistan (1973), Article 199 Constitutional Application Self Assessment Additional Assessment Deduction Assessment Section 65, Income Tax Notice issued under Income Tax Ordinance, 1979 on this basis Although the principal company was responsible for advertising expenses under the agreement made between Assisi and the principal company, Assisi also claimed advertising expenses in their respective years. According to the amended agreement between the advertiser and the principal company, the local advertising expenditure was assessed by the assessee, while the Assessing Officer, in connection with the other notices, the SC represented the Commissioner Income Tax, which did not. With regard to the constitutional petition and dispute comments retention of any contentious applicant, when bringing the issue of diagnostics into the disputed area of fact, the High Court has no jurisdiction to resolve the disputed factual question in the constitutional jurisdiction. The Constitutional Petition was not upheld against the show at any particular time for any reason notices and SCs could not be allowed to transfer the jurisdiction under the law which was not found in the Constitution which was rejected by the High Court. Was.
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