MIAN MUHAMMAD ASLAM versus C.I.T., LAHORE
Section 27, 151 and 2 (24) of the Income Tax Ordinance 1979, the company's shareholding by the company or the shareholder's share of the property's sale of the property in the land in section 2 (24) of the company's taxability income. As defined in Income Tax Ordinance, Income Tax Ordinance In 1979, Income Tax Ordinance Under 1979, Income Tax Ordinance Under 1979, Any Income, Profit Or Privilege Included Under Section 27 (2) a) (ii), under the Income Tax Ordinance, 1979, the transfer of immovable property was able to be taxed under any provision of the Ordinance Gains. The provisions of section 151, Income Tax Ordinance, 1973, were not otherwise attracted to the bar on the second exemption because the provisions contained in section 151 of the Ordinance were related to income only under any section of the Ordinance Capital Benefits on immovable property. Was exempt. To be taxable under any provision of the Ordinance, to be exempt from them and then confined to the original recipient under Section 151, Income Tax Ordinance 1979, was a completely misunderstood principle. es:
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