COMMISSIONER OF INCOME-TAX versus MESSRS FINE MOOT INTERNATIONAL
Sections 32 (3) and 136 (1) of the Income Tax Rules, 1982, R216 (3) (a) refer to the High Court's law tribunal that when calculating the income of the SC, the sale of the CIF The decision to be adopted was that the Tribunal was not justified in giving such instructions despite the provisions of section 32 (3) of the Income Tax Ordinance, 1979 and R216 (3) (a), when the Income Tax Officer The High Court refused to respond to the asymmetry of commercial results. Such questions were not questions of law
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