I.T.A. NO. 3700/LB OF 2000, DECIDED ON 20TH JULY, 2002. versus I.T.A. NO. 3700/LB OF 2000, DECIDED ON 20TH JULY, 2002.
Income Tax Ordinance 1979 Sections 66A, 24 (c) 50 (1), 62 and Second Schedule, CL (27) 1997 CBR Circular No. 15, 6 11 1997 Inspection Powers That Subject to the Deputy Commissioner's Deductions There will be no deduction of source tax on the payment of the Golden Hand Shake Scheme. Revenue was not deducted from interest. The payments made under the Golden Handshake Scheme under section 50 (1) of the Income Tax Ordinance 1979 and such expenses were, therefore, not admissible under Section 24 (c) of the Income Tax Ordinance, 1979. Therefore, the provisions of Section 24 (c) of the Income Tax Ordinance, 1979, which failed to reduce the tax on salaries paid to the employees of the Assisi, were `` wrong and discriminatory. Revenue of interest was declared legally valid under section 66A of the Income Tax Ordinance, 1979, however, it also included gratuity and the order could not be extended until the total amount was increased. , The grant money was exempted under CL. (27) In the second schedule of the Income Tax Ordinance, the assessment was set aside to determine the total amount of the mortgage paid in 1979 and to what extent it was exempt. How many payments were above the threshold at which the tax was deducted and how many employees paid tax on the amount themselves were to be deducted from the figures after confirming the data included in these three categories, and if anyone's income Income tax if any increase
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