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COMMISSIONER OF INCOME TAX versus AHMAD YAR KHAN MENHAIS


Sections 62, 65 and 59 (1) of the Additional Assessment Returns filed under the Self Assessment Scheme for the years 1997 to 2002 failed to show legal review when it was examined for several diagnostic years. The joint notice was issued. It marked multiple clauses of the notice. Self-assessment was not submitted and under section 62 and 65, income tax ordinance 1979 for review for the years 2001 to 2001 and 2001 for the years of 2002, section 59 and 1 under section 59 (1) of the Income Tax Ordinance, 1979 Was filed under. The ordinance and its effect could not be ascertained that the aforesaid profit did not resolve the appraisal of the plaintiffs facing unlawful legal defects and the appellate tribunal justified the cancellation of the review for all years.

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