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CENTRAL INSURANCE CO. versus CENTRAL BOARD OF REVENUE, ISLAMABAD


Circular No. 4 of section 65 CBR 1988, interpretation of scope 194 1988, validation of statement of scope and application 65, statement of information if any assessee has disclosed all material facts without concealment and income tax The evaluation was completed by the officer, in the absence of any new fact finding in a situation that could be considered accurate information, on the ground referred to in section 65 (1) (a) (I). There is no scope for reopening the assessment under Section 65. b) Any change of opinion on the basis of the same substance by the Income Tax Officer does not guarantee the accuracy of the information provided by Section 65 (1) of the Circular of the Board of Revenue, provided that the assessment by Income Tax Resume CBR does not authorize tax officer on the basis of Circular No. 4 of 1988

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