I. T. A. NO. 1181/LB OF 2002, DECIDED ON 31ST OCTOBER, 2002. versus I. T. A. NO. 1181/LB OF 2002, DECIDED ON 31ST OCTOBER, 2002.
Section 66A, 59 (1), 80 D&F Schedule, Para IV, CL2 (b) Circular No. 16 of the CBR dated 11th 1999, Para 2 (b) (iv) of the Additional Commissioner. Inspection Powers To review the order of the Deputy Commissioner, the cancellation of the review has been finalized under section 59 (1) of the Super Tax Non-Payment Income Tax Ordinance, 1979, registered firm of the Super Tax Professional / Medical Practitioners. Being a registered firm of Professional / Medical Practitioners, superseding the cancellation of Super Taxes by the Appellate Authority, was subject to Part 2 (b) of Part IV of the First Schedule of Income Tax Ordinance, 1979. Research has, which is indicated by the Amendment has jurisdiction and authority under Section 66. The Income Tax Ordinance, 1979, was not considered to have been vacated and the order passed by the Inspector Additional Commissioner was vacated and the original appraisal order was restored by the appellate tribunal.
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