MUHAMMAD IRSHAD CHEEMA versus C.I.R., R.T.O., GUJRANWALA
Sections 122 (1), 122 (5) (i), 111 (1) (B), 120, 115 (4), 114 and 68 Valuation Amendments Unclassified Income or Assets Tax Year 2005 Cash Gift Home Purchase Final Statement A brokerage commission was filed announcing the filing of tax under section 115 (4) of the Income Tax Ordinance 2001, which was taxed as a final exemption of tax liability. The department was informed that the taxpayers had made the house. The taxpayer had purchased, in a statement of wealth, on 30th 06 2004, a cash gift from the wife's assessing officer announcing that there was no evidence of the availability of funds by the taxpayers and It was found that the taxpayers had invested in the purchase of property from unclear investments which could be included under section 111 (1). (B) income from other sources was read with section 122 (5) (i) of the Income Tax Ordinance, 2001; a show cause notice was issued under section 122 (1) to amend the assessment. ? The caseworker's gift, which was also taxpayer's, was accepted to the extent of past savings while the cash gift was rejected by the wife. Under section 122 (1) of the Income Tax Ordinance 2001, the review for the tax year 2006 was amended and additionally added under section 111 (1) (b) of the Income Tax Ordinance 2001, the taxpayers. Claimed that the Assessing Officer was not justified in treating her. The statement filed under this section, considered under section 115 (4) of the Income Tax Ordinance 2001, under section 120 of the Income Tax Ordinance 2001; the officer examining the provisions of section 122 (1) of the Income Tax Ordinance 2001 Had requested illegally and illegally because the refusal tax RD