YOUSAF SUGAR MILLS LTD. versus GOVERNMENT OF PAKISTAN
Section 47 Section R No. 463 (I) / 2007, dated 96 2007 The reference to the High Court Counsel for the applicant was quoted as saying that the full amount of sales tax had already been paid and that only the penalty amount. Was subject to appeal. The petition sought to be filed objected to the fact that it was not compiled in accordance with the provisions of Section 47 of the Sales Tax Act 1990 or identified by the lawyer as a tax defect, which was merely Was of a ministerial nature, had no bearing on the merits of this case or the questions proposed were not challenged to pay the actual amount of cell tax, in the light of the exemption under section RO. The applicant's request for settlement was allowed,
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