CALTEX OIL (PAKISTAN) LTD. versus DIRECTOR-GENERAL, EXCISE & TAXATION
The High Court set aside the restriction order for payment of urban immovable property tax sanctioned by the Director General of the West Pakistan Urban Non-Transferable Property Tax Act, 1958, while dismissing the order, the High Court said. Left the Director General open for use. It has the power to modify any speculative order by the Act on its own motion, although there is no prescribed power under section 10 (2) of the Act under the Director General The duration was not set, yet such options can be used in a timely manner. The Director-General approved the review order after four and a half years which was moved by the applicants, under section 10 (2) of the Act, to protect any part against the panic of the rival party. The deadline for filing a review request after has expired. The re-filing limit expires when any failed party may be allowed to ask for autonomous amendment options from the authorized authority. The exact purpose of proposing a deadline for filing such an application would be defeated, and the difference between the use of autonomous revolutionary forces and the initiation of a modification application process, especially the aggrieved party. Will be terminated.
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