versus
Section 66, / 63 / A certain A, & 62 and certain 64 In some cases the limit of assessment was ordered on 15 2 2001 under Section 66A of the Income Tax Ordinance, 1979 and the Taxation Officer ordered this order on 14. This was ordered as a result of enforcement. 2 2005, which should have occurred at any time within two years from the end of the financial year in which such order was accepted, the order for canceling the original assessment under section 66A of the Income Tax Ordinance 1979, dated 15 2 2001 Was made and in compliance with this order, the assessment order under section 66A / 63 or 62 of the Income Tax Ordinance 1979 was to be made on or before 30 6 2003, but the order was issued by the Taxation Officer on 14 6 2005, Which was banned. At the time, even if the appeal filed by the SC before the appellate tribunal was still considered, the appellate tribunal had settled the matter on 17 10 10 2003 when it made the assessment within one year from the end of the financial year. Was needed. ar In which this order was obtained by the Imaging Officer, the appellate authority had earlier mentioned in its order that the appellate tribunal order was received on 30 11 2003 and had to be assessed within one year from the end of the financial year. I was told that the order was received, but this order was approved on 14 6 2005, which was stopped by the taxation officer under section 63 / 66A by the time restriction passed on 6-6 2005, the limit. After the interim was approved, was illegal and was canceled the withdrawal declared was reinstated and the appellate tribunal filed with the SC Was allowed
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