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After the implementation of Income Tax Ordinance, 2001 under Income Tax Ordinance, 1979, 62, 65 and 59A under Income Tax Ordinance 1979, production of evidence, evidence etc. approved under section 62/65 of 1979 Cancellation order evaluation. The Income Tax Ordinance was to be opened / amended under the provisions of 2001 and not under the provisions of the Income Tax Ordinance 1979. The proposed notices clearly show that the taxation officer identified two different clauses, which means that the taxation officer was not sure of the fact that he was investigating or escaping. ? There was no order to be written under section 59A of the Income Tax Ordinance 1979 and any order provided under section 59 (4) of the Income Tax Ordinance was not approved before 30 6 2001 and 30 6 2002. Was. If an order of 1979 Order, if 1979 Order was passed in 1 ityity 1 2003 on passed, there was disappearance in the law and the appellate tribunal had to subpoena it to terminate the powers that the first appellate authority granted. The reasons were in accordance with the law and the result of relying on decisions. The appellate tribunal as well as the order of the superior appellate authority's superior court did not interfere with the appellate tribunal and the appeals of the department were dismissed.
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