MESSRS OXFORD UNIVERSITY PRESS versus COMMISSIONER OF INCOME TAX
An explanation of the total schedule (86) of Second Schedule read with Sec Schedule, CL (86) and Section 14 (1) of Sec 14 (1), Income Tax Ordinance, 1979 and applied to Sec 1 86 of the Schedule. Read the exemption provided under section 14 with the exception. ()) Income Tax Ordinance, 1979 1979 1979, which is the income of the universities and educational institutions, is available only to them, universities or other educational institutions, which have been established for educational purposes only and not for profit. For the purposes of In the Second Schedule CL (86) of the Income Tax Ordinance, 1979, the purpose of education is thus its own importance and importance, which disqualifies such universities and other educational institutions from generating any income. Engage in activities / business to do. Providing education in a Pakistani university or educational institution, which is based abroad, would not be acceptable under Pakistan as a university or educational institution if the law does not constitute its business / functioning in Pakistan for educational purposes only. So in the current situation, Assisi was not teaching in Pakistan, but was engaged in the business of printing, publishing and selling books and making profit from it. As a branch of a foreign university, which according to its charter may be one of the purposes of the aforesaid university, but under the law of Pakistan did not base the educational activities of the aforesaid university in other countries, to examine the issue of the Essex. Go. To qualify for this, there is an exception to the qualification in Pakistan under Cl Total (86), Second Schedule, Income Tax Ordinance, 1979, for the calculation of any foreign remittances.
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