FEDERATION OF PAKISTAN versus USMAN LTD.
Income Tax Ordinance 1979 Section 80CC, Schedule VIII:, Part IIHII and III of the Constitution of Pakistan (1973), Art 185 (3) Withholding tax, the export of goods manufactured in Pakistan was a subsidiary of cotton cotton yarn. And it was in this case that the business of exporting the Income Tax Authorities demanded withholding tax under Part III of the Eighth Schedule of the Income Tax Ordinance, 1979, while the assessee was of the view that the Income Tax Ordinance, 1979 was the eighth. They were covered under the provisions of Part II of the Schedule. Accuracy The High Court rightly concluded that the issue of assimilation fell in Part II of the Eighth Schedule to the Income Tax Ordinance, 1979, as item number L of this section relates to the export of goods manufactured in the Pakistan High Court. Didn't matter. In this decision, which could not be exempted, the leave to appeal was denied.
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