W.T.A. NO.833/IB OF 1999-2000, DECIDED ON 22ND JANUARY, 2003. versus W.T.A. NO.833/IB OF 1999-2000, DECIDED ON 22ND JANUARY, 2003.
Sections 14B, 14 (1) (C) and 16 (5) Section RO No. 1208 (I) / 95, dated 23 10 1996 CBR Letter C No. (12) WT / 96, dated 30 7 1996 C. BR Circular No. 1 (15) (WT / 96, dated 14 12 1996 to the Wealth Tax Rules, 1963, R 3, with respect to the Minimum Wealth Tax Return Assessment 39, filed on Form A for the assessment year 1996 as per 1996). The first appellate authority, under section 16 of the Wealth Tax Act, 1963, was reversed on the ground that the Assisi had not filed its Wealth Tax Return before 1996. Because, under section 14B of the Wealth Tax Act, 1963, It was covered. It is obliged to adhere to this principle to obtain the provisions of Section 14B of the Wealth Tax Act, 1963 and to file returns in Form AA filed by the Assessment on 30 9 1996 and to file returns in the prescribed Form AA. Could not be The assets included under section 14B of the Wealth Tax Act, 1963 did not show that it was a return under section 14B. Taxes payable under section 14B of the Wealth Tax Act, 1963 Wealth Tax Act, 1963 are mentioned, the return on Form A is the purposes of Section 14B in the Order of the First Appeal Authority of the Wealth Tax Act, 1963. Is not suitable for Under section 14B of the Wealth Tax Act, 1963, dealing with the covered person was a sign of wrongdoing and intolerance. Wealth tax rules, termed R8 (3) of 1963, for the assessment of Denvo in respect of the sub-rules (2) and (3) of R8 of the Wealth Tax Act 1963 Remand received.
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