MESSRS FATEH FOOD (PVT.) LTD., LAHORE versus SECRETARY, REVENUE DIVISION, ISLAMABAD
Income Tax Ordinance 1979 Section 12 (18) Establishment of the Office of Federal Tax Ombudsman Ordinance (2000 XXV), Section 9 Assets of the Association of Company Managers Treated as Treaty Deposit Amount plus the Revenue Deposit Amount As shown in the Balance Sheet, the amount of the share deposit was invested in the Association of Persons prior to the formation of the Company, in the case of AOP, its assets consisted of fixed capital assets and large expenditures which the Company subsequently issued. He was seized while joining the company, but the money was not by the company but he was on the Association of Income Tax Ordinance 1979. Suns represented the deferred assets and major expenses of section 12 (18), applied in the form of applied amount of and since there was no such amount claimed by the company, the income tax The provisions of Section 12 (18) of the Ordinance 1979 were not expressly applicable, at least to the extent that this amount was assigned by the Complainant / Assisi to the Association of Persons and subsequently occupied by the Company. Done
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