MESSRS QASIM COTTON GINNERS versus SECRETARY, REVENUE DIVISION, ISLAMABAD
Sections 36 (3) and 11 (4) constitute the Office of Federal Tax Ombudsman Ordinance (XXXV of 2000V), Section 2 (3) showcasing the unauthorized tax due was issued on ShowCase 11 5 2005 And six months and 12 days after the order was passed on 23 11 2005, no time was extended for the decision of this case nor any inquiry by the first appellate authority on the request for a time limit. Was not given. The issue was decided within 90 days of the receipt of the file after the issuance of the show show cause notice, after which the termination of the Adjunct Collectorate was not feasible because of the 90 days after the issuance of the showcase notice. This case must be decided within. In the original production dues, the order was passed after the expiry of the time period set out in Sections 11 (4) and 36 (3) of the Sales Tax Act, 1990, which resulted in a time restriction. The order in the appeal will cancel both the original and the order since the appellate tribunal had filed an appeal to challenge the order, so the complainant reopened the matter and the order in the appeal under section 45A And canceled the order. The Sales Tax Act, 1990, which was recommended, the Appellate Tribunal withdrew its appeal from the Federal Tax Ombudsman. It is recommended that the Revenue Division should be directed to the competent authority to revoke the orders of both departments and to cancel them. However, the Department should take further action in accordance with the provisions of the Sales Tax Act, the law
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