Sections 80 (2) (B) (V), 113, 122 (5A) and the Second Schedule, CL (92) were a society registered under the Society Registration Act, 1860 in the Assessment Remission Society registered under the Society Registration Act, 1860. ? The taxpayer was a non-profit organization with taxpayers on a profit-based basis that taxpayers treated taxpayers with the definition of the company that the taxpayers earned on their return income. Claimed a rebate under CL 92 of the second schedule. The Income Tax Ordinance, 2001 and a previous Part Order were passed and the minimum tax was obtained under Section 113 of the Income Tax Ordinance 2001, the first appellate authority having issued the order rejecting the order that the taxpayer be an education Society, \ does not praise the company. \ And that the definition of \ companyof excluded societies registered under the Societies Registration Act, 1860: and that the society was not established under the Order of the First Appeal Act. The cancellation of the tax officer was based on a correct interpretation of the provisions of the law, and after passing the facts of the matter and keeping the legal law, a fair mind was unanimously approved. Order was retained. Appellate Tribunal \ r \ n