MESSRS METLA ASSOCIATES (PVT.) CO. LTD. CARE OF MIAN ASHIQ HUSSAIN, ADVOCATE versus SECRETARY, REVENUE DIVISION, ISLAMABAD
Sections 96, 52, 52A86, 50 (7A) and 62 Income Tax Rules, 1982, R49 Establishment of Federal Tax Ombudsman Ordinance Office (XXV of 2000), Section 2 (3) Section of Income Tax With the resort of 52, the Department's Refund Ordinance, 1979, passed orders from various parties to set taxes and surcharges against the Civil Aviation Authority for payment of taxes and taxes, the Civil Aviation Authority ordered the Income Tax Ordinance, Such tax was deducted from the security previously collected by Assisi under Section 62 of 1979. , And he paid his tax liability The Department of Income Tax claims from the Income Tax Department refused to pay such a refund on the basis that it created a claim against the Civil Aviation Authority. And this claim was not against the complainant, but against the legitimate claim. The only complainant / complainant can claim removal from his / her civil unauthorized authority for unauthorized recovery; receiving a request for a refund of deposits was made by the acid taxation officer to ascertain that civil aviation. How much money must be deposited in relation to the Complainant / Assistive Association of the Authority because under section 52 of the Income Tax Ordinance, 1979, the arrears against them were to be received only from the Civil Aviation Authority. The tax ombudsman suggested that an invoice of Rs 53,822 be verified to determine how much of this amount should be deducted from the security deposit of the complainant / reviewer so that the Income Tax Ordinance 1979 When canceling a credit ho refund request under section 50 (8) of the Code and
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