KARACHI SHIPYARD & ENGINEERING WORKS LTD., KARACHI versus ADDITIONAL COLLECTOR, CUSTOMS, EXCISE AND SALES TAX (ADJUDICATION-III), GOVERNMENT OF PAKISTAN, KARA
Article 199 Constitutional Petitioner Petitioner Company claimed that it had already preferred the sales tax appeal against the impugned order, which is pending but the applicant further requested that due to non-availability of member technical in the tribunal. It will be. If it is satisfied that the petition is dealt with observation unless the appeal is filed by the Tribunal, no adverse action will be taken against the applicant on the basis of an unreasonable order by the petitioner. Ordered that the department do not take any adverse action against the applicant on the basis of an inadmissible order and recovery notice, unless the appeal of the applicant is made by the tribunal for hearing.
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