ABDUL RASHEED versus SECRETARY, REVENUE DIVISION, ISLAMABAD
Sections 122 and 156 constitute the offices of the Federal Tax Ombudsman Ordinance (XXXV of 2000), Sections 2 (3), 9 and 11 of the Refund Income Tax Ordinance 1979, as defined under section 156, relating to a four-year interval in decision-making. The claim, whether complied with or not. Due to the lack of a refund order or negligence, negligence, delay, disqualification, ineligibility and disappearance, it took a long time to decide what to do with the refund order. Failure to give so many good reasons to delay a false decision. On the authority to prove the absence of mismanagement in this case, the Federal Tax Ombudsman recommended to the Commissioner to complete the proceedings under section 122 of the Income Tax Ordinance 1979 in accordance with law without undue delay and liability for illegal delay. Inquire the institute to determine stake. In making such a decision
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