I.T.A. NO.632/IB OF 2004, DECIDED ON 20TH OCTOBER, 2004. versus I.T.A. NO.632/IB OF 2004, DECIDED ON 20TH OCTOBER, 2004.
Section 80C (2) (a) (i), 14313s and 50 (4) CBR Circular No. 11 of 1991, dated 30 199 1991 Tax Service Offered Tax Service on the Income of Some Contractors and Importers (Dhobi) Assissee's washout contract was proposed to be assessed under Section 80C of the Income Tax Ordinance, 1979, and the tax deducted on it was proposed as a final exclusionary service. Was included in the definition of The Central Board of Revenue in its Circular No. 11 of 1991, dated 30 6 1991, the First Appellate Authority has confirmed the order of the Diagnostic Officer by examining that a professional in para 6KCI (ii) of the Diagnostic Center. Does not fall into the category of people. Circular number 11 of the Board of Revenue was 1991, 1991, 1991, and income was to be assessed under the Income Tax Government. The terms of service for the Revenue of Concentration were explained. Professionals such as Doctors and Engineers Definition were not banned and gave a broader meaning to the concept, `The definition of service rendered included a` dhobi \ service. The Income Tax Ordinance, which was introduced in 1979 due to non-definition of word service re-services, was to be adopted under the Safe Course in the Common Dictionary, which means that ses the service definition covered the Essay. ? Assessment and assessment presented under Section SOC of Income Tax Ordinance, 1979 was not deemed valid and filed by the Act under public law after issuance of notice under Section 61 of Income Tax Ordinance, 1979 1979 r \ n. Was evaluated to estimate the return to be made.
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