RIAZ BOTTLERS PVT. LTD. THROUGH TAX MANAGER versus LAHORE ELECTRIC SUPPLY COMPANY (LESCO) THROUGH CHIEF EXECUTIVE
Sections 4 (6), 147, 161 (1B), 190 (3) and 235 Constitution of Pakistan (1973), Offer, Arts 2A, 23, 24 and 199 Constitutional Application Lahore Electric Supply Company (LESCO) Advance Tax Compensation Advance tax payment on electricity bills in Lesco's electricity bills Vacation of interim order after approval of interim order application filed by the applicant through suspension of High Court interim order, such as LESCO's electricity bill Demand for a steady amount of advance. Taxing the applicant for the postponement period in the tax year ending 30th 2009 2009 and extending to the next two constituencies of the tax year ending 30 6 2010. Applicant is requested to pay income tax through other means at the end of the tax year. 30 6 In 2009 and the next two constituencies, illicit demand would be equivalent to double taxation, thus, unlawful legitimate advance tax is a current amount payable by installments in current year B. After the final installment is made, the taxpayer can adjust the advance tax against the expected amount of tax and pay the balance once payment is made, then the advance tax liability will expire before such interim order is discharged. Paying tax for the tax year requires the petitioner to pay the advance tax for the tax year ending tax year 30 6 2009, doubling from when it was already taxed. Tax, which was not provided by section 235 of the Income Tax Ordinance 2001 and was not required to meet the tax demand. Could be given. By the applicant who has already been paid
Related judgments — Lahore High Court Lahore, 2010