I.T.AS. NOS.585/KB AND 586/KB OF 2002, DECIDED ON 30TH JANUARY, 2003. versus I.T.AS. NOS.585/KB AND 586/KB OF 2002, DECIDED ON 30TH JANUARY, 2003.
Sections 66A, 38 (6), 35 and 23 (1) (v), to amend the Deputy Commissioner's order, inspect the powers of the Additional Commissioner on the basis of the assessment of damages beyond rental income unstable depreciation. It was canceled that the Assigning Officer mistakenly terminated other income and property of the head in lieu of income for the foreseeable loss. Assisi claimed that the Assessing Officer did not hold back the loss of property income or other sources for alleged income, but it was set off. Properly built against unpaid depreciation and created non-lethal depreciation work, this year's legitimate losses incurred this year against the second person's income before the first year's unlawful depreciation. Had to be dispatched which would protect the abortive deportation. Section 35A of the Income Tax Ordinance 1979, which shall be terminated after consolidation, shall be consummated after the order of the Additional Commissioner, inspected under Section 66A of the Income Tax Ordinance, 1979, was approved by the Appellate Tribunal. Was received.
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