MESSRS PAKTEL LTD., ISLAMABAD versus SECRETARY, REVENUE DIVISION, ISLAMABAD
The Income Tax Ordinance 1979 Sections 66 (1) (c), 134 and 136 constitute the Office of the Federal Tax Ombudsman Ordinance (2000 of the XXV); After filing a reference in front of Decided to decide on the matters decided. The complainant contends that Section 66 (1) (c) of the Income Tax Ordinance 1979 provided a time limit for fresh assessment in this case, where the assessment was set aside. The assessment was received by the Assessing Officer on April 1, 1999, as a fresh assessment on such cases had to be made before 1 7 2000. And since no reference was made to the High Court in connection with these matters which could not raise the boundary and assess the validity for the whole year and not the fragments where the series of the particular year (s) was concerned. Appeal was filed and it was evaluated partially set aside, the provisions of section 66 (1) (c) of the Income Tax Ordinance 1979 will not be attracted, the decision of the High Court complaint Will be updated after the circumstances have been rejected.
Find a Lawyer Near You
Dealing with a matter like this? Connect with a verified advocate in your city — free on SJP Lawyers Directory.
🔍 Find a Lawyer
when you need a advocate from Goular Khel lawyer