COMMISSIONER OF INCOME TAX, COMPANIES-IV, KARACHI versus PAKISTAN ELECTRIC FITTINGS MANUFACTURING CO. LTD.
Section 136 and 156 of the Income Tax Appellate Tribunal Rules, 1981, R20 Constitution of Pakistan (1973), Order of Tribunal of Article 185 (3), dismissing the appeal of 5-6 1996, dismissing the appeal by reference. Not challenged, the application filed under R20 against the injunction against the Income Tax Appellate Tribunal Rules 1981 dismissed the request for correction of the said order. On 6 6, 1996, the Supreme Court granted leave of appeal to consider the question whether the appeal was upheld by the High Court despite objection to the appeal and the limitation of the appeal. In fact, against the original order of 6 against 1998, the date of 5 1996 1996 was periodically withheld and could be retained legally. Whether the High Court fails to consider the various provisions of the law and decisions presented by the Supreme Court on the question of the law involved. And can the unwanted decision in law be kept in view of the strange facts and circumstances of the case?
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