Case ID |
debff7fa-6646-4c92-bf62-abdb12fa8624 |
Body |
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Case Number |
STA NO. 1697/LB/2017 |
Decision Date |
Feb 07, 2024 |
Hearing Date |
Jan 25, 2024 |
Decision |
The case involves the appeal by M/s. Hi-Tech Networks (pvt) Ltd against the CIR, RTO, Lahore. The decision rendered by the Appellate Tribunal Inland Revenue was based on the arguments presented by the advocates representing both parties. The tribunal examined the evidence and submissions made during the hearing held on January 25, 2024, and issued its order on February 7, 2024. The outcome reflects the tribunal's interpretation of the relevant laws applicable to the case and sets a precedent for similar disputes in the future. The appeal was considered significant in clarifying procedural aspects of tax law. |
Summary |
This case, cited as 2024 SLD 3438, revolves around an appeal by M/s. Hi-Tech Networks (pvt) Ltd against the CIR, RTO, Lahore. The Appellate Tribunal Inland Revenue, presided over by Judicial Member Ayesha Fazil Qazi, heard the case on January 25, 2024. The appeal was represented by Advocate Mr. Hashim Aslam Butt, while the respondent was represented by Ms. Arfa Tabassum, DR. The tribunal's decision, delivered on February 7, 2024, holds significant implications for tax law and administrative procedures, shedding light on the nuances of tax assessments and the responsibilities of taxpayers. This case emphasizes the importance of thorough legal representation and the tribunal's role in ensuring fairness and clarity in tax administration. It serves as a vital reference for future cases, illustrating the judicial approach towards tax disputes. The ruling is expected to influence similar cases and guide practitioners in navigating complex tax regulations. |
Court |
Appellate Tribunal Inland Revenue
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Entities Involved |
Not available
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Judges |
AYESHA FAZIL QAZI
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Lawyers |
Mr. Hashim Aslam Butt,
Ms. Arfa Tabassum
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Petitioners |
M/s. Hi-Tech Networks (pvt) Ltd
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Respondents |
The CIR, RTO, Lahore
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Citations |
2024 SLD 3438
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Other Citations |
Not available
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Laws Involved |
Not available
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Sections |
Not available
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