Sections 161 and 205, Second Schedule: Part I, CLS (8), (12) and (25) and Sixth Schedule, Part II, R-5 of the R Telecommunications Corporation Employees Pension Fund, Rr 9 and 15 Taxes Taxpayer temporarily due to failure to pay or due to lack of tax on pensions / payments to employees who are retiring under voluntary severance scheme / pension. Was treated as. Taxpayers were considered to be the recipient of income tax deduction on payments due to pension change as they were not eligible for payment / pension payment waiver under the second (12) of the Income Schedule. Used to be Exceptions were not applicable under the Tax Ordinance, 2001 and Part I of the Second Schedule of Income Tax Ordinance 2001 (KCI (25)), CL was entitled to claim exemption from taxpayers. (25) Part I of the Second Schedule to the Income Tax Ordinance, 2001 was a consideration because the taxpayer himself was exempted under Part (1) of Part 1 of the Second Schedule to the Income Tax Ordinance 2001 (12) of the Federal Board of Revenue. Was exempted from. The appellate tribunal's order of refusal of immunity could not be accepted, but in another case, it could be challenged by requesting the extraordinary jurisdiction of the High Court Department, which itself admitted that part. Separate approval has been granted under the first KCL (12). The second schedule of the Income Tax Ordinance 2001 was not required and the previously approved fund would serve the purpose that would allow the majority of the thousands of employees to leave on time.