MUHAMMAD SIDDIQUE versus COMMISSIONER OF INCOME TAX AND WEALTH TAX
Section 122 (5A) of the Income Tax Ordinance (XXXI of 1979), Section 59 (1) of the Office of Federal Tax Ombudsman Ordinance (XXXV of 2000V), Section 2 (3) of the Finance Act (I of 2003), offer CBR Letter C No. 3 (12) IT Code / 04, Dated 24 4 2004 The amendments to the review of the assessment year 2000 2000 and 2001 2002 were finalized under the Self-Assessment Scheme before the implementation of the Financial Act, 2003, Notice, History. 28 28 2004 and 15 Under section 122 (5A) of the Income Tax Ordinance 2001 2005 2005 the year 2000 2001 and 2001 2002 these years should be assessed in relation to the income given in section 80 (1) of the Income Tax Ordinance. Will be considered. In section 122 of the Income Tax Ordinance 2001, the orders for the 1979 6 1979 assessments were compiled on the substitution subsection (5A) of 1 6 2002 and 27 5 2002, which came into force from 1 7 2003 and this case did not apply. This was decided even before the enactment of the Finance Act. , 2003 Complaint commenced proceedings were illegal and illegal under Section 122 of the Income Tax Ordinance, 2001, the Federal Tax Ombudsman recommended that under Section 122 of the Income Tax Ordinance 2001 against the complainant. Issuing notices issued, dated 28 28 and 15 3 2005 leave / return and cancel
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