dc.contributor.author |
Sipra N |
en_US |
dc.contributor.author |
Sharif H L |
en_US |
dc.date.accessioned |
2017-01-30T08:16:09Z |
|
dc.date.available |
2017-01-30T08:16:09Z |
|
dc.identifier.uri |
http://hdl.handle.net/123456789/175815 |
|
dc.identifier.uri |
http://localhost:8080/xmlui/handle/1/499 |
|
dc.description.abstract |
The case provides a vivid example of the discretionary powers of an income tax officer, and depicts the process of appeals necessary in tax disputes. The Managing Director of a construction firm moved into second appeal against a tax assessment order that had levied what he felt was excess tax and penalty for concealment of taxable income. |
en_US |
dc.publisher |
YES |
en_US |
dc.subject |
Construction |
|
dc.subject.classification |
Business,Government,International Economy |
en_US |
dc.subject.other |
Taxation |
en_US |
dc.subject.other |
business law |
en_US |
dc.title |
TAX MAN COMETH (A) |
en_US |
dc.type |
16-081-91-1 |
en_US |
dc.location |
case research centre |
en_US |