I.T.A. NO.2328/LB OF 1999, DECIDED ON 12TH JANUARY, 2004. versus I.T.A. NO.2328/LB OF 1999, DECIDED ON 12TH JANUARY, 2004.
The powers of Section 66A to review the order of the Deputy Commissioner of the supply of Section 66A of the Income Tax Ordinance, 1979, were only in disagreement with the assessment officer of Section 66A of the Income Tax Ordinance 1979. In its role, it is the legal responsibility of the Inspector-General of the Examiner, exercising powers under the aforesaid section, to determine whether the order to intervene was wrong and whether it was in the interest of income. Was biased.
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