W.T.AS. NOS. 129/LB TO 131/LB OF 2004, DECIDED ON 20TH APRIL, 2005. versus W.T.AS. NOS. 129/LB TO 131/LB OF 2004, DECIDED ON 20TH APRIL, 2005.
Section 2 (1) (5) (ii) [2 (e) (ii)] applies to the purpose of these properties under section 2 (1) (5) (ii) of the Taxes Act, 1963, on the rock of the property. They have to remain or sell their property and the purpose was to hold the property on which the flour mill was to be obtained, which is neither normally nor exclusively for rent. Is set to, cannot be used in the \ Asset \ Language Definition scope. The law itself cited the term construction as immovable property for the purpose of building and exiting the property, immovable property which is intended for the purpose of the construction business let any proposal in the present case as its purpose. The impugned Assisi's were not allowed to withhold tax and could not be examined on the appellate authority's flour mill order before being reviewed and the Assessing Officer was vacated by the Appellate Tribunal and the Assisi's Appeals Permission was \ r \ n \ r \ n
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