JS INVESTMENT LIMITED, KARACHI versus ADDITIONAL COMMISSIONER INLAND REVENUE-E, KARACHI
Sections 66A, 62 and 65 Income Tax Ordinance (XLX of 2001), Section 122 (5A) and 239 Powers to inspect the Additional Commissioner for review of the Deputy Commissioner's Order, Section 62 of the Income Tax Ordinance, 1979 28 6 2005 The taxing officer found that under section 66A of the Income Tax Ordinance, 1979, the income tax ordinance read with section 239 of the Income Tax Ordinance 2001, taxed under section 239 of 1979 The assessment of interest was wrong and biased. And nevertheless issued notice on 22 06 2010 that the Income Tax Ordinance had already expired beyond the limits provided under the 1979 Act, especially for amending an order approved by the Assessing Officer. The period of the year was provided in which it was mistaken. As far as it is prejudicial to the interest of income, it will use the itation limit as mandatory, Section 62 of the original Order Income Tax Ordinance 1979 was adopted by the Deputy Commissioner on Income Tax 28 06 2005, while the Income Tax Ordinance 1979 Under Section 66A of 21 Section 2010 was adopted under the Income Tax Ordinance. Tax Ordinance, 1979, which was declared as timely prohibited on 28th, 2009 and a notice was issued under Section 66A of Income Tax Ordinance 1979, passed after it was provided under the mandatory provisions of Law 6 Order 2010. Was issued. Terminated by jurisdiction and appellate tribunal by r \ n \ r \ n