Case ID |
0980ed0c-00a6-47db-aa9f-d57f42680f20 |
Body |
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Case Number |
STA NO. 245/IB/2024 |
Decision Date |
Aug 20, 2024 |
Hearing Date |
Aug 20, 2024 |
Decision |
The case before the Appellate Tribunal Inland Revenue, Division Bench-I, Islamabad, involved M/s. Kamal Laboratories as the appellant against The Commissioner Inland Revenue, Cantt Zone, RTO, Rawalpindi. The hearing took place on August 20, 2024, and the order was also issued on the same date. The tribunal was presided over by Judicial Member M. M. AKRAM. The decision addressed the issues raised by the appellant regarding tax assessments and compliance with relevant tax laws. The ruling emphasized adherence to procedural norms and the interpretation of tax obligations as outlined in existing legislation. The tribunal's decision is pivotal for similar tax disputes, establishing precedents for future cases. |
Summary |
In the case of M/s. Kamal Laboratories vs. The Commissioner Inland Revenue, the Appellate Tribunal Inland Revenue addressed significant tax compliance issues. The tribunal focused on the interpretation of tax laws and procedural adherence, which are critical for businesses operating within legal frameworks. This ruling will serve as a reference for future tax disputes, particularly for entities navigating complex tax regulations. The decision highlights the importance of understanding tax obligations and the need for businesses to maintain accurate records to avoid disputes with tax authorities. The case underscores the role of the appellate tribunal in resolving conflicts and ensuring fair application of tax laws. |
Court |
Appellate Tribunal Inland Revenue, Division Bench-I
|
Entities Involved |
M/s. Kamal Laboratories,
The Commissioner Inland Revenue, Cantt Zone, RTO, Rawalpindi
|
Judges |
M. M. AKRAM
|
Lawyers |
Mr. Muhammad Sajid,
Mr. Niaz Ahmed
|
Petitioners |
M/s. Kamal Laboratories
|
Respondents |
The Commissioner Inland Revenue, Cantt Zone, RTO, Rawalpindi
|
Citations |
2024 SLD 3687
|
Other Citations |
Not available
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Laws Involved |
Not available
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Sections |
Not available
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