TRG PAKISTAN LIMITED, KARACHI versus C.I.R., R.T.O., KARACHI
Second Schedule, Part I, CL (101), Sections 122 (5A), 122 (9) and 2 (72) Second Schedule of Income Tax Ordinance (1979): Part I, CL (102G) Securities and Exchange Commission of Pakistan Act (XLII of 1997), Section 39 (2) Non-Banking Finance Companies (Establishment and Regulation) Rules, 2003 Venture Capital Companies and Venture Capital Funds Rules, 2000 Venture Capital Companies and Venture Capital Funds, 2001 Circular No. 1 of BR Circ. Letter from the Director General dated 30th 2008 2008 Waiver Tax Year 2003 Income Tax Year 2003 Second Schedule (101) of section 30 of the Income Tax exemption on the basis that this exemption was claimed on the basis that The company undertook the venture project under \ Venture Capital Company and Venture Capital Fund Rules, 2001, while providing the first KCL (101) of Part II of the Income Tax Ordinance 2001. That only those venture capital companies enjoy wool exe exemptions that were registered under the Venture Capital Companies and Fund Management Rules, 2000 under and in part I of the Second Schedule to Income Tax Schedule (101). Reference accuracy rules are not exempted. The ordinance was the 2001 Venture Capital Company and the Venture Capital Fund Rules, 2001, which came into force at the time of introducing waivers in the Income Tax Ordinance, which was enacted in 2001 as a company formed under taxpayers. The Venture Capital Company and the Venture Capital Fund Rules, 2001 were covered under Part 1 (101) of the Second Schedule to the Income Tax Ordinance 2001 and were eligible for Article 1 exemption clause (101). Income Tax Ordinance, 2001, which is the venture capital company and the venture cap