FAISALABAD TEXTILE CORPORATION (PVT.) LTD. THROUGH CHIEF EXECUTIVE versus INSPECTING ADDITIONAL COMMISSIONER OF INCOME TAX, WEALTH TAX COMPANIES RANGE-IV, FAISALABAD
Section 63, 80 cc, 134 and 156 of the Constitution of Pakistan (1973), section 199 of Article 199 of the Constitution Income Tax Ordinance, 1979, to exclude appeal through its appeal authority and tribunal instead of section 80 cc. The original order of the order was filed. Approval of application for non-filing of export documents by tribunal for claiming assessment under Section 80CC of the Tax Ordinance 1979. Prior to the tribunal, the application for review by the CCC was extended and it was stated that export income is subject to section 80 of the Income Tax Ordinance 1979. Under its order it cannot be inferred that photocopies of the relevant export documents were submitted by the Assistant Officer Assisi before raising such a request, but the Tribunal did not attend, rejecting the appeal. Or did not indicate the tribunal's order in the appeal. Such an application was rejected by the reviewer on the alleged request to not export the export record, when the Tribunal decided the correction request, the SCCC did not look at such a complaint, but the tribunal did not consider the correction request. Was dismissed, thus dismissing the correction request could not be considered lawful. Its decision was set aside by the High Court and directed the Tribunal to consider the plea raised by the SC and decide the corrective petition.
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