COMMISSIONER OF INCOME-TAX, COMPANIES, LAHORE versus MESSRS CH. TEXTILE MILLS LTD., LAHORE
Income Tax Ordinance 1979 Sections 12 (7) and 136 (1) of the Income Tax Ordinance, which is considered to be accumulated and originated in Pakistan, shall be transferred to the sister associated with this assessment, such as transfer of stock and stock, such as a transfer on loan or Advance Appellate Tribunal. Is considered in reference to the High Court's endorsement of Section 12 (7) of the Income Tax Ordinance, 1979, made under section 12 (7) of the Income Tax Ordinance, 1979 Advance to refers to which no interest was levied, it was found to be of interest only and not fact, but it had to be restricted to loans and advances only. No, neither the loan nor any advance was paid for her sister's concern tribunal. There was an attempt to raise a new issue, stating that the matter could not have been exposed to the fact that the Assisi had tried to introduce a more mixed question of law and fact to this purpose. From the amount of money it can be estimated as. Loans and advances cited in the provision of section 12 (7) of the Income Tax Ordinance, 1979, can never be considered in this aspect of the Tribunal never spoke of the creation of its order, even the issuing The officer also did not say that until the matter and the tribunal stage, the facts showed that it was a transfer of stocks and stores and it was not a loan or advances, as the High Court only responds to this reference as the latter. The Tribunal dispute arose. The transfer of stocks and stores could not be considered nor was there any debt or advance, therefore,
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