BEFORE RASHEED AHMAD SHEIKH, JUDICIAL MEMBER AND JAVED TAHIR BUTT, ACCOUNTANT MEMBER versus BEFORE RASHEED AHMAD SHEIKH, JUDICIAL MEMBER AND JAVED TAHIR BUTT, ACCOUNTANT MEMBER
Circular No. 5 1997 of Income Tax Ordinance 1979 Sections 59, 59A and 136 CBR, dated 12 7 1997 CBR Letter No. C No.7 (27) / Section Assistant / 1996, Dated 27 1I 1996 Broad-based Self Assessment Scheme Reference Assessment Year 1997 98 The case of Assisi was excluded from the Broadband Self Assessment Scheme on the basis that the Assessment case for the assessment year 1996 1996 was not accepted under section 59 (1) of the Income Tax Ordinance 1979 And was no exception to the diagnosis. The year 1997 98 was only available for matters covered under section 59 (1) and not the cases accepted under section 59A of the Income Tax Ordinance, 1979, the only valid requirement for qualification under the scheme was that Tax is paid on the basis of income declared for income. The assessment year 1997 was not less than 98, the return of taxable 97 taxpayer payable for the assessment year 1996 raises the question that it was not finalized under the Self Assessment Scheme 1996 under 97. And this was the second was accepted under Section 59 of the Ice Income Tax Ordinance, 1979 became irrelevant There was no reason to choose the issue of Assisi for general assessment and the Tribunal's finding was clear in every respect of the Tribunal. The source reference was denied to the High Court
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