FEDERATION OF PAKISTAN versus ZAMAN COTTON MILLS LIMITED
Income Tax Ordinance 1979 Section 80CC and 80D Notification Section R60 (1) / 87, dated 22 1 1987 for Economic Reform Act (XII of 1992), Section 6 Constitution of Pakistan (1973), Article 185 (3) Income. Regarding the exemption tax industrial state of Gudun Umazi, the authorities said that the High Court did not properly apply, in the case of Divine Cotton Mills, to appeal in accordance with law, PLD 1997 SC 582. The Supreme Court approved a valid leave for To consider whether income tax payments are exempt from the theory of Section 6 of the Economic Reform Act, 1992, section 80CC and S and 80D of the Income Tax Ordinance 1979, as in CL (122C), The Income Tax Ordinance was included in the Second Schedule of 1979, as notified by Section RO 60 (I) / 87, dated 22 1 1987, protecting reviewers from failing to do so. The High Court upheld the facts of the payment of income tax under section 80CC and section 80D of the Income Tax Ordinance 1979 and whether the rule laid down by the Supreme Court in the case of Divine Cotton Mills Limited. Was applied as Asset matters
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