STAR LINK (GLAMOUR SHOPPING MALL), THROUGH MESSRS TAHIR LAW ASSOCIATES, SUKKUR versus SECRETARY, REVENUE DIVISION, ISLAMABAD
Section 170 (4), 113A, 114, 115 (4) and 233 Establishment of the Office of Federal Tax Ombudsman Ordinance (2000VXV), Section 2 (3) and 9 (2) (b) Refund The statement of receipt of waiver of the Boundary Commission was filed under section 115 (4) of the Income Tax Ordinance 2001 declaring the receipt and payment of taxable tax and notice under section 114 of the Income Tax Ordinance 2001 No return was filed in response. The claim for exempt tax-deductible income was claimed on the basis that no order was passed within 45 days as directed by the first appellate authority, hence the refund was automatically deducted from section 170 of the Income Tax Ordinance 2001. Was done according to In the process it was yet to be decided whether the amount paid was more than the amount with which the complainant was properly compensated for taxation as the tax on the discounted income was not offered. , The issuing officer is required to file a return in respect of this income with the claimant under Section 114 of the Income Tax Ordinance 2001 so that his tax liability and consequent return cannot be determined, instead of filing the return. Complainant opted to approach federal tax Ombudsman with the result that the taxation officer has called this action an outdated question. I was asked whether a refund was due or not determined after the taxation officer returned the file, the taxation officer had not yet acted on the tax liability and the refund was not payable. Been there
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