COMMISSIONER OF INCOME-TAX COMPANY\'S II, KARACHI versus NATIONAL FOOD LABORATORIES
Use of power to rectify any wrongdoing shown in section 35 of the Income Tax Act 1922, when necessary, when an officer using force under section 35 disputes, examines the case, re-examines the evidence or adds Considering the evidence and therefore interpreting the supply of O and forming different opinions from the order, then it would not be equivalent to the \ tific correction of the order to make any mistake which was not clear and clear in the record. Order cannot be called which may be modified by the exercise of powers under section 35
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