Case ID |
eaa3701f-9307-459d-9abf-43f62e455a89 |
Body |
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Case Number |
STA NO. 2090/LB/2022 |
Decision Date |
Jan 08, 2024 |
Hearing Date |
Jan 03, 2024 |
Decision |
The Appellate Tribunal Inland Revenue heard the case STA NO. 2090/LB/2022 involving M/s. Premium Mart, Lahore against The CIR, RTO, Lahore. The hearing took place on January 3, 2024, and the decision was rendered on January 8, 2024. The case was presided over by Judicial Member Zahid Sikandar and Accountant Member Muhammad Tahir. The decision specified the rights and obligations of the parties involved, reflecting the application of relevant tax laws and regulations. The Tribunal emphasized the importance of compliance with tax regulations and the legal standards applicable to the case, aiming to ensure fairness and adherence to the law. The insights derived from this case may serve as a reference for future cases involving similar circumstances. |
Summary |
This case revolves around a dispute between M/s. Premium Mart, Lahore, and The CIR, RTO, Lahore, adjudicated by the Appellate Tribunal Inland Revenue in Lahore. The case highlights significant issues related to tax compliance and the interpretation of tax laws, emphasizing the role of the Tribunal in ensuring adherence to statutory obligations. The Tribunal's decision reflects the legal framework governing tax matters and serves as a precedent for similar cases. The ruling is vital for entities engaged in commercial activities and underscores the importance of maintaining accurate tax records and compliance with tax regulations. The case is expected to contribute to the body of knowledge surrounding tax law and may influence future litigation in this domain. |
Court |
Appellate Tribunal Inland Revenue
|
Entities Involved |
The CIR, RTO, Lahore,
M/s. Premium Mart, Lahore
|
Judges |
Zahid Sikandar,
Muhammad Tahir
|
Lawyers |
Mr. Shoaib Shahzad, Advocate,
Ms. Seemab Zafar, DR
|
Petitioners |
M/s. Premium Mart, Lahore
|
Respondents |
The CIR, RTO, Lahore
|
Citations |
2024 SLD 3440
|
Other Citations |
Not available
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Laws Involved |
Not available
|
Sections |
Not available
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