FEDERAL BOARD OF REVENUE versus SIDDIQSONS DENIM MILLS LTD
Section 11 (4), Office of the FedEx Tax Ombudsman Ordinance (XVX of 2000), predetermined assessment of tax limitations definitely passed the order after the expiration of 180 days from the date of the showcase notice. If the dispute raised by the department could be extended after the 90-day deadline has expired, the order was approved only two days after the 180-day deadline was reached, Therefore, the showcase notice became inactive and no further action can be taken. Therefore, the order was passed, whether it was being shown to be unconstitutional because of illegal action. The Federal Tax Ombudsman, in addition to the recommendations already made, also said that the Federal Board of Revenue had to file Section 54A of the Sales Tax Act, 1990. Should reopen the case and actually cancel the order. Which led to the cancellation and the proceedings should be closed as the show cause notice is concerned
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