Case ID |
debd2635-ac84-495a-9a23-97f41c4673aa |
Body |
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Case Number |
STA NO. 2504/LB/2023 |
Decision Date |
Mar 28, 2024 |
Hearing Date |
Dec 18, 2023 |
Decision |
The case involved an appeal by M/s. Crescent Bahuman, Ltd. against a decision made by The CIR, LTO. The tribunal examined the presented arguments and evidence from both parties. The decision aimed to clarify tax obligations and compliance under the relevant laws. The ruling emphasized the importance of adhering to tax regulations and provided guidance on future compliance. The tribunal's order was issued after careful consideration of the facts and legal implications. |
Summary |
In the case STA NO. 2504/LB/2023, heard by the Appellate Tribunal Inland Revenue in Lahore, M/s. Crescent Bahuman, Ltd. challenged the decision of The CIR, LTO regarding tax compliance. The hearing took place on December 18, 2023, with the decision delivered on March 28, 2024. Mr. Nadeem Ashraf, FCA represented the appellant, while Mr. Bilal Zia, D.R. represented the respondent. The tribunal's ruling clarified various aspects of tax law and compliance, addressing key issues pertinent to the case. It highlighted the responsibilities of businesses under the existing tax framework and provided essential insights for future reference. This case serves as a significant point of reference for tax practitioners and businesses alike, emphasizing the need for rigorous adherence to tax obligations. The decision is expected to influence future cases and is a valuable resource for understanding tax law interpretations. The tribunal's detailed examination of the facts and legal principles involved will contribute to the evolving landscape of tax jurisprudence. |
Court |
Appellate Tribunal Inland Revenue
|
Entities Involved |
The CIR, LTO,
M/s. Crescent Bahuman, Ltd.
|
Judges |
SAJJAD ASGHAR KHOKHAR
|
Lawyers |
Mr. Nadeem Ashraf, FCA,
Mr. Bilal Zia, D.R.
|
Petitioners |
M/s. Crescent Bahuman, Ltd. Lahore
|
Respondents |
The CIR, LTO, Lahore
|
Citations |
2024 SLD 3691
|
Other Citations |
Not available
|
Laws Involved |
Not available
|
Sections |
Not available
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