This case demonstrates the value of legal justifications at the rear of notices, particularly in tax assessments, wherever the taxpayer’s legal rights and obligations hinge about the validity on the notice issued. In the situation of Syed Kausar Ali Shah vs. Syed Farhat Hussain Shah, the dispute involved the principle https://chancewmjlv.blogs100.com/30048434/5-simple-statements-about-specific-performance-lawyer-in-karachi-explained