MESSRS S.S. TANNERIES THROUGH PROPRIETOR versus ASSISTANT COLLECTOR (AUDIT AND ENFORCEMENT DIVISION-II), SALES TAX AND FEDERAL
Section 46 (4), Second Constitution of Pakistan (1973), Article 199 Constitutional application interim order, end of appeal period filed by the applicant, six months of sales tax and interim order passed by the Central Excise Appellate Tribunal. Ended due to a break from The application initiated by the applicant for the recovery process is that if such recovery process continues, the legal process of the applicant's appeal will become obsolete. The High Court directed the applicant to appear before the Tribunal in a pending application for a final decision of the High Court pending his appeal. It also directed the tribunal to try to decide the applicant's appeal within a period of three months and during this period the authorities were forced to pressurize the authorities to recover disputed liabilities through coercive measures. The application was allowed under \ r \ n \ r \ n
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