QADUS AHMAD versus THE ASSISTANT COMMISSIONER OF INCOME TAX/WEALTH TAX,CIRCLE 16, ZONE-A, LAHORE
Income Tax Ordinance 1979 Sections 65 and 61 of the Constitution of Pakistan (1973), Article 199 Constitution Petition Re-review for Issuance of Review Notice Disclosure of Income Tax Scheme Disclosed under the Income Tax Scheme of 1991 1992 Further information and documents under the relevant scheme of the relevant scheme stand on different grounds than the assessment order made after detailed scrutiny and record scrutiny under section 61 of the Income Tax Ordinance 1979, and use mentally on material facts. Doing so may reopen the assessment on terms of section 65. (1) (c), Income Tax Ordinance, 1979 However, a notice under section 65 cannot be retained unless it is shown when new information or document is not available to the Income Tax Officer when the Assessment Order is prepared. And / or the Income-tax Officer failed to consciously apply his mind to these matters, a notice was issued under Section 65 of the Ordinance and / or the Assessment was guilty of concealing material facts or having the Assessment Authority Assistance and / or appraisal of the appraisal order, which was evident from the appraisal order of fact, emphasized primarily that the property The claim about the low price was false and contrary to the facts. If this is the case, the Assistant will have the authority to present the evidence and to the Income Tax Officer to demonstrate this fact and to satisfy the property that is disputed, no interference with the Income Tax Officer's order is guaranteed. Under which he issued the notice. To review again for the year 1991 92
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