COMMISSIONER OF INCOME-TAX, COMPANIES ZONE-IV, KARACHI versus HAKIM ALI ZARDARI
Section 17 Constitution of Pakistan (1973), Article 185 (3) was not mentioned in the assessment order under section 17, the Wealth Tax Act, 1963 of the Income Tax Appellate Tribunal Rules, 1982, RR 10 and 14 Limitation Notice. Prior to the notice was presented by the Appellate Tribunal, therefore, it can be safely understood by the Tribunal that this notice was filed under sections (A) and (B) of section 17, Wealth Tax Act, 1963 (1). Limit, said there was no limit. This assessment applies but the limitation set forth in Section 17 of the Act was applicable only to the service of the Tribunal, which amended the Commissioner's order rejecting this assessment and granting the member's appeal justified. Maybe. The finding of this proceeding and the tribunal shall not be in any way illegal or contrary to the law for the assessment year in violation of RR 10 and 14 of the Income Tax Appellate Tribunal Rules 1982. In the order of the appellate tribunal that the rigors, weaknesses or irregularities, which the High Court affirmed had been discovered, the Supreme Court dismissed the leave application for appeal against these orders. \ r \ n \ r \ n
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