COMMISSIONER OF INCOME-TAX, CENTRAL ZONE, LAHORE versus CRESCENT JUTE PRODUCTS LTD., LAHORE
Additional remand by the Income Tax Ordinance 1979 Sections 66A12 (7), 62, 65 and 132 Appellate Authority may not be subject to the use of the IAC scope direction amended by the Assessing Officer involved in the fresh opposition order. IAC's amended jurisdiction if the appellate authority does not provide specific guidance for a particular purpose, its assessment may not be merely a compliance with the order of appeal under section 132, Income Tax Ordinance, 1979, where the scope of the inquiry. Is. The remand should be made after the open, compiled assessment, or at least that portion of the endowment order is equivalent to the fresh assessment and is re-filed under the relevant IAC remand order under section 66A, Income Tax Ordinance, 1979. Will be open Finished to resolve the dispute on an inquiry basis, the order on the re-evaluation was as renewable as the test of manifest principles.
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