I.T.A. NO. 317/KB OF 2001, DECIDED ON 27TH MAY, 2005. versus I.T.A. NO. 317/KB OF 2001, DECIDED ON 27TH MAY, 2005.
Under section 62 of the Income Tax Ordinance, 1979, a notice was made regarding the production of a section 62 account without notice, which was a necessary condition after which the first appellate authority violated the prerequisites under the law and It helped. The law was not sustainable as the Assessing Officer did not issue a notice under section 62 of the Income Tax Ordinance 1979, which was mandatory and conditioned to increase the gross income of an assessee so there was a valid legal course for the first appellate authority. Instead of setting aside the addition by the appellate tribunal, delete it
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