HONDA ATLAS CAR (PAKISTAN), LTD., LAHORE versus C.I.T., LEGAL DIVISION, R.T.O., LAHORE
Section 21 (e) Income Tax Rules, 2002, R 117 deductions did not permit the payment of funds to the mortgage fund and the initial contribution to the fund was rejected because the Commissioner for Inland Revenue Requires special approval from. What was not obtained under the provisions of Income Tax Rules 2002, KR 117 and that the excess amount represented by the interim obligation represents the taxpayer's claim that the amount paid is within the prescribed limits. That is, such money was not maximized by the co-employees, the total salary for the last months of the corresponding fiscal year, which benefited the staff grant of, and the issuance of, a waiver certificate in the Fund established by the Commissioner Inland Revenue. A similar case was raised at the time of After examining the taxpayer and the record, the relevant authority agreed that such amount was not above the prescribed limit and no legal sanction was required under R117 of the Income Tax Rules, 2002 In order to enforce the limitation set out in R-117 (2) of Rule 2002, the Validity Authority had to remain with the Commissioner Inland Revenue, which satisfied itself on this account. First, the documents presented before the appellate tribunal were certified and acknowledged by the tax officer of the department, who was in contention with another department official, and was also presented by the senior in the senior classification. The contents of the response show that the taxpayers did not exceed the amount set forth in R 117 (2) of the Income Tax Rules, 2002, and then issue a waiver certificate confirming that upon verification,