Find a Lawyer

Every Lawyer listed in this directory is verified by SJP verification Team

✓ Trusted direct lawyer access
Need to speak to a lawyer now?

Unlock direct contact details for up to 10 lawyers so you can call or WhatsApp the right legal professional and move your matter forward with confidence.

☎ Phone and WhatsApp access ⚖ Verified lawyer directory 🔒 Secure payment
⚡ Connect with 10 Lawyers for Rs 1,000
Pay once. Open contact numbers for lawyers matching your legal need.

GEAR ROBBING LIMITED versus COMMISSIONER OF INCOME-TAX


Requirement for the re-opening of the section CC-C, 65, & ? and Pres 62 Evaluation of the Assessment Ordinance Required to appear before the Assessing Officer and file returns Did not choose to initiate the assessment, but only wrote a letter to the Deputy Commissioner of Income Tax Assessment, proceeding to finalize the assessment under Section CC of the Officer Ordinance, so that the assessee did not avail himself of the assessment. That he could benefit from by complying with the notice issued by him. The officer, who had no choice but to finalize the assessment in the absence of the SCCC, cannot be allowed to take advantage of the wrong where the assessment was finalized under section 80C of the Ordinance. That is, under Article 61 and 62 of the Ordinance, the question of issuance of notice will not arise. There is no question of law which requires any consideration or interpretation by the High Court. I dismissed the appeal

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
Popular cities: Lahore· Karachi· Islamabad· Rawalpindi· Multan· Faisalabad
power of attorney advocate Jaffarabad lawyer

SJP Lawyers DirectorySJP Lawyers Directory

Pakistan's leading legal-technology platform and verified lawyer directory — connecting clients, lawyers, law firms and Bar Associations across the country.

Get in Touch

© 2018–2027 SJP Legnocrats (SMC-Private) Limited. All rights reserved.