BEFORE INAM ELLAHI SHEIKH, CHAIRMAN AND JAVED MASOOD TAHIR BHATTI, JUDICIAL MEMBER versus BEFORE INAM ELLAHI SHEIKH, CHAIRMAN AND JAVED MASOOD TAHIR BHATTI, JUDICIAL MEMBER
Income Tax Ordinance 1979 Sections 80C, 143B, 59A and 50 (4) of CBR Circular No. 11, 25 7 of 1998 1998 CBR Circle No. 8, dated 27 7 1999 Income? Filing of contract tax deduction statement as stauror and other labor services on maritime line was assessed 5% Q on Q and 5% on supply Q Total receipt of contract receipts under Section 59A of Income Tax. More than 30 million rupees. The ordinance, approved under section 59A of the Income Tax Ordinance 1979, cannot be equated with an order passed under section 80C (7) of the Income Tax Ordinance 1979, after questioning and contesting it from 1979, Whether the statement was filed under Section 143B of the Income Tax Ordinance 1979 and the income was not properly qualified under Section 80C of the Income Tax Ordinance, the return under section 56 of the 1979 Income Tax Ordinance was to be sought. 1979 and then under the General Law Order the Tribunal was granted, without appropriate jurisdiction, the order of the Assessing Officer.
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