Income Tax Appellate Tribunal
2007
THLN 586
2007 PTD 2029 | (2007) 96 TAX 237
Laws Cited
Income Tax Ordinance, 1979, Companies Ordinance, 1984
Sections
FirstSched.,Part-IV,para.2B, 14(3)(d)

VS

Petitioner(s) by:
Respondent(s) by:
Present: KHAWAJA FAROOQ SAEED, CHAIRPERSON
ORDER

KHAWAJA FAROOQ SAEED (CHAIRPERSON).-This appeal on behalf of the department is on the basis of following grounds:---"(1) C.I.T.(A) was not justified in directing to allow exemption under para.2B of Part-IV of First Schedule to Income Tax Ordinance, 1979 to the assessee.(2) The assessee (AOP), a firm of architects, does not qualify for his exemption because it has failed to establish that it is prevented by a law or convention from forming a company.(3) C.I.T.(A) was not justified to delete the addition of Rs.198,000 made under section 24(ff) under the head `work done' on contract basis' without requiring the assessee to provide evidence that these payments were made by crossed cheque.(4) SCIT(A) was not justified to delete the addition of Rs.35,000 made under the head `car insurance'. This amount was disallowed because it was attributable to the personal use of car."So far as the issues on the basis of grounds Nos.3 and 4 are concerned I shall take up the same first. The A.R. has produ...