K. REHMAN MILK FOOD INDUSTRIES LTD., KARACHI versus
Under section 11CC of the Sales Tax Officer, section 11, the ice cream maker was receiving delivery charges from each user at a fixed price, regardless of the supply of this ice cream, but the ICC had to sell ice cream to each store. Had to supply the cream. The shopkeeper could have no other way of delivering goods through his refrigerated van, and consumers had no choice but to pay the price fixed by the Ascii Health Sales Tax Officer. There was no sale price announced by Skakashi. The price at which the tax should be levied because the SCC was charging a certain amount from each customer, thereby supplying the so-called cost of Section 11, Sales Tax Act 1951.
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