HAMDARD LABORATORIES (WAQF), PAKISTAN, KARACHI versus THE FEDERATION OF PAKISTAN
Section 3 (4) of the Central Excise Rules, 1944, RIR 9, 10, 52, 174, 210 and 226 Constitution of Pakistan (19731, Article 199 Sales Tax Authority of Levy is responsible for levying sales tax on applicants' products on lamina). Found, under which it was said that the product was a food supplement, a tank was responsible for the payment of sales tax and that the applicant made the rules by clearing the same thing from the factory without paying the sales tax. Violated the provisions, and on the other hand, in the petitioner's case, it was stated that lamina was not prepared for fruits or vegetables, but with herbal solids. Was extracted, which was completely recommended by the Hekims for the prevention and treatment of human diseases as a medicine, as stated in the petition that the applicant claimed that Un Lahemina was purely a Greek drug, Likewise, sales tax is exempt like allopathic medicines. The biggest complaint of applicants for this purpose was that the department found a food supplement based on the report of the Central Drug Laboratory without disclosing the drug Lahamana. To inform
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