SALES TAX APPEAL NO.Q-79 OF 2001, DECIDED ON 4TH OCTOBER, 2005. versus SALES TAX APPEAL NO.Q-79 OF 2001, DECIDED ON 4TH OCTOBER, 2005.
Sections 3, 6, 7, 13, 23, 26 and 46 Section RO 561 (1) / 94, dated 96 1994 The present exemption from the payment of sales tax appeal on the appellate tribunal was that after June Whether or not 1999, the Industrial Unit was entitled to exemption in the light of notification section RO 561 (I) / 94 against the 9th 1994 1994 unit, that the exemption was not obtained after June 1999, exempting the notification. The unit that was set up between 1st July 1991 and 30th June 1994, another unit was established on 12th 1994, but its formation was waived by the authorized authority over 6 199 1994. Was and Was allowed to set up his own unit or before 30 6 1996 and according to the record he started production on 1 12 1994, the other unit said, in the circumstances, five years from the date of acquittal till November 1999 Was entitled to a waiver for the period. Second unit started production around 1 or 12
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