INCOME TAX APPEALS NOS. 83(IB) AND 84(IB) OF 1989-90, DECIDED ON 14TH APRIL, 1991. versus INCOME TAX APPEALS NOS. 83(IB) AND 84(IB) OF 1989-90, DECIDED ON 14TH APRIL, 1991.
Second Schedule, Article 65 and Section 27 (2) (a) (ii) of the Constitution of Pakistan (1973), Fourth Schedule, item 50 SCC, which is a housewife, was assessed to be taxed on the income of her property. That was offered for a year's tax collection. Each year the property, as held by the Assisi, was declared in its statement of wealth and the assets were shown to the assessee as having no estate agent or property dealer, such as 90% in the plot of the Assisi. Percent, he sold. The relevant year, which was purchased in 1974 and set aside in 1985, when the Capital Development Authority issued a cancellation notice for the completion of the building within 5 months, as well as a 50% share of the building sold. The insistence on the three was that the other shareholders in the building who share the remaining shares were present for the tax purposes received by the tenant of the rent received at 50%, and for seven years longer. After placing two pro's were sold
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