MESSRS SATTER FLOUR MILLS PRIVATE LTD., SUKKUR versus DEPUTY COMMISSONER OF INCOME-TAX
Estimates of income from lease of mills of section 22 and 30 flour were assessed by other sources under section 30 (2 (d)) of the Income Tax Ordinance, 1979. The ordinance tribunal assessed The original Playboy order maintained that although the mills were leased, the Assisi used a wheat quota, telephone, watchdog and continued to pay property taxes, such as property taxes, flour mills, machinery, warehouses, Machinery room, no such plea involved in dispute, High Court dismisses appeal
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