KAMRAN KHAN versus FEDERATION OF PAKISTAN THROUGH SECRETARY FINANCE,
Income Tax Ordinance 1979 Sections 14, 62, 66A and Second Schedule, CL (129), Part I of the Constitution of Pakistan (1973), Article 199 Constitutional Petition reviewed the exemption in relation to the payment of Wealth Tax. The relevant year, but the Additional Commissioner inspecting, issued a show cause notice to the assessee under section 66A of the Income Tax Ordinance 1979 against which the assessee responded to the notices saying that the payment of the Commonwealth's tax was granted by the Second Seed KCL ( 129) was an acceptable deduction. Income Tax Ordinance, 1979, but Additional Commissioner of Inspection, in Part I of the Second Schedule, incorporates the Wealth Tax paid by the property in the assessment year of Clyde (129): Income Tax Ordinance, 1979 expressly Provided the waiver of the terms on According to Section 14, 4979 of the Income Tax Ordinance that the Wealth Tax is paid by the Assets, there was an acceptable deduction order in which the Assessment withdrew the Wealth Tax paid by the Assets in its review. Ment was declared without legal authority and void
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