HAMSONS INDUSTRIES, KARACHI versus SECRETARY, REVENUE DIVISION, ISLAMABAD
Sections 19 and 81 of the Federal Tax Ombudsman Ordinance (XXXV of 2000), Sections 2 (3) and 10 (4) of the Order Complaint Temporary Assessment Final status, volatility in the scope of the Importer's Corruption Complaint Was committed. Examining the declaration of goods filed by the importer was imposed on the expiration of the security under section 81 (2) of the Customs Act 1969, subject to section 81 (4) of section 81 (4). The Customs Act, 1969, did not violate the law, rules and procedures and was not subject to corruption as defined under section 2 (3) of the Federal Tax Ombudsman Ordinance, 2000 Goods was announced on 11-9 2008. The finalized form, taxable duty and tax was recovered in May 2012 through securities disclosure but a complaint was filed on 18 6 2013, more than a year after the case was finalized. Look, affected by the limitation, under section 10 (4) of the Federal Tax Ombudsman Ordinance, 2000, the review was rejected in the circumstances
Related judgments — Federal Tax Ombudsman Pakistan, 2014